Bovine tuberculosis: consultation on
proposals to help eradicate the
disease in England
A consultation exercise contributing to the
delivery of the government’s strategy for
achieving bovine tuberculosis free status for
England
27January 2021
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Contents
Part A: About this consultation............................................................................................. 4
1. Background ....................................................................................................................... 4
2. Purpose of this consultation ............................................................................................... 5
3. How this consultation is structured ..................................................................................... 5
4. Additional options and actions to accelerate eradication of bTB .......................................... 6
Part B: Proposals to further help eradicate bovine TB in England ................................. 8
5. TB Testing ......................................................................................................................... 8
6. Proposal 1: Extending Post-Movement TB testing to parts of the Edge Area ....................... 8
7. Proposal 2: Use of the interferon-gamma test in the HRA and Edge Area ........................ 11
8. Wildlife Control................................................................................................................. 14
9. Proposal 3: Cease issuing Badger Disease Control (intensive cull) licences for new areas
post 2022 ............................................................................................................................... 16
10. Proposal 4: New Badger Disease Control (intensive cull) licences issued in 2021 and
2022, could, after 2 years of culling, be revoked after a progress evaluation by the Chief
Veterinary Officer (CVO). ........................................................................................................ 17
11. Proposal 5: Reduce the initial f inancial commitment of cull companies to three years
funding ................................................................................................................................... 19
12. Proposal 6: Restrict any new Supplementary Badger Cull (SBC) licences to two years and
cease re-issuing licences for areas which have previously undertaken SBC............................. 20
13. When will any Guidance changes be implemented? ...................................................... 22
Part C: Tell us what you think ............................................................................................. 23
14. Your comments invited - questions ............................................................................... 23
15. How to respond ............................................................................................................ 25
16. Confidentiality and data protection ................................................................................ 26
Annex A: List of parishes in Berkshire, Derbyshire and Hampshire that would be
required to post-movement test.......................................................................................... 28
1. List of parishes in Berkshire that would be required to post-movement test .......................... 28
2. List of parishes in Derbyshire that would be required to post-movement test ........................ 29
3. List of parishes in Hampshire that would be required to post-movement test ........................ 30
Annex B: Regulatory Triage Assessment - Extending Post-Movement TB testing to
parts of the Edge Area ......................................................................................................... 33
Annex C: Comparison of the current IFN-γ testing policy in England and the
proposed refinements to the policy ................................................................................... 43
Annex D: Revised Guidance to Natural England ............................................................. 44
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Part A: About this consultation
1. Background
1.1. Bovine Tuberculosis (bTB) is an infectious and contagious disease with a
complex epidemiology, which can spread within and between cattle and badger
populations. BTB is one of the most pressing and costly animal health problems
in England with a significant number of affected cattle herds. It threatens our
cattle industry and presents a risk to other livestock, wildlife, pets and humans.
Dealing with the disease is costing the taxpayer over £100 million each year. The
latest official statistics show that more than 27,000 cattle were compulsorily
slaughtered in England to control the disease in the last year, causing
devastation and distress to hard-working farmers and rural communities.
1.2. The government’s bTB Strategy1, published in 2014, aims to achieve Officially
Bovine Tuberculosis Free (OTF) status for England by 2038, whilst maintaining
an economically sustainable livestock industry. The strategy complements
Defra’s strategic objectives of supporting and developing British farming and
encouraging sustainable food production, enhancing the environment and
biodiversity, managing the risk of animal disease, and the government’s
overarching objective of supporting economic growth.
1.3. By implementing and gradually adjusting cattle and wildlife controls since the
introduction of the bTB Strategy, we are making progress in tackling the disease.
Overall herd incidence and prevalence in England is stable with the long-term
trend beginning to show a downward turn. We are seeing particularly
encouraging progress in the High-Risk Area (HRA). We now need to bank the
benefits of our approach to date and build on that momentum. We can do that by
making the very best use of our primary disease control tools – i.e. more and
better TB testing and stronger biosecurity to improve herds’ resilience to the
threat of bTB. And we can do more to develop and then deploy relatively new
ones that are now much more within reach – such as the already available
badger vaccine and a cattle vaccine which we hope is now on the not too distant
horizon. In developing new disease control interventions, we need to find the
right balance between managing disease risks and managing impacts on
businesses. We also continue to need to deploy a combination of measures in
cattle and badgers in order to achieve our TB eradication objective.
1.4. In 2018, Professor Sir Charles Godfray was commissioned to conduct an
independent review to reflect on progress being made with the bTB Strategy and
1 https://assets.publishing.service.gov.uk/government/uploads/system/uploads/attachment_data/file/300447/pb14088-bovine-tb-strategy-140328.pdf
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consider what additional actions might be necessary now to ensure other tools
and interventions are ready to be deployed in later phases of the strategy (‘the
Godfray Review’2).
1.5. The bTB Strategy is an adaptive, evidence-based, long-term approach to disease
control. It is based on the fundamentals of effective testing, controls on
movements to limit transmission between herds and strong biosecurity. It also
includes the foundations of badger control in areas where the disease is
widespread in cattle and in badgers, to complement other measures.
1.6. The government published a response to the Godfray Review3 in March 2020,
setting out three top priorities for the next phase of the bTB Strategy:
• accelerating work to develop a deployable cattle vaccine in the next five
years – a potential game-changer;
• plans to evolve the wildlife control policy, by beginning to phase out
intensive badger culling in the next few years and gradually replacing this
with government-supported badger vaccination and surveillance. Culling
would remain an option where epidemiological assessment indicates that
it is needed;
• improving diagnostic testing to root out bTB more effectively, with
deployment of more sensitive tests for surveillance supported by greater
use of on-farm restriction of cattle with inconclusive test results.
2. Purpose of this consultation
2.1. This consultation sets out in more detail proposed changes to aspects of bTB
policy in keeping with these priorities, in order to begin the transition into the next
phase of the bTB Strategy. It purposefully brings together cattle and wildlife
measures given our strategy is holistic.
2.2. Bovine TB policy is devolved. This consultation applies to England only. The
proposals are set out in Part B. The consultation questions and details of how to
respond are set out in Part C and views are invited by 24 March 2021.
3. How this consultation is structured
3.1. The proposals set out in this document are presented as follows:
a. TB Testing
• Extending post-movement TB testing to parts of the Edge Area
2 https://www.gov.uk/government/publications/a-strategy-for-achieving-bovine-tuberculosis-free-status-for-england-2018-review 3 https://www.gov.uk/government/publications/a-strategy-for-achieving-bovine-tuberculosis-free-status-for-england-2018-review-government-response
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• Use of the interferon-gamma test in the High-Risk Area and Edge
Area
b. Wildlife Control
• Phasing out the current intensive and supplementary badger
control policies, with related updates to Guidance to Natural
England on licences to kill or take badgers under the Protection of
Badgers Act 19924.
4. Additional options and actions to accelerate
eradication of bTB
4.1. In parallel to this consultation, we are also seeking views on additional options
stemming from the government’s response to the Godfray Review, aimed at
accelerating eradication of bTB. The Call for Views covers several ideas,
including further changes and improvements to TB testing, incentivising
increased uptake of biosecurity measures, supporting responsible cattle
movements, rewarding low risk purchasing behaviour, and aligning our approach
with wider agricultural change post EU-Exit. We seek initial input on the pros,
cons, practical deliverability, costs and benefits of these ideas to assist with the
development of further potential future proposals.
4.2. Our plans for the next phase of the Strategy also include a commitment to the
following. These are not subject to consultation/the call for views, but will be
subject to further engagement/communication:
a. Designing a successor to the TB Advisory Service (TBAS), for which
the existing contract is due to expire in mid-2021.
b. Developing a training offer for private sector vets, in order to improve
advice provision to farmers and establishing plans for rollout.
c. Establishing a new government/stakeholder bTB Partnership, which
we plan to convene in early 2021.
d. Commencing field trials of a Bacillus Calmette-Guérin (BCG) cattle
vaccine and associated DIVA test (to differentiate infected from
vaccinated animals) with the ambition of deployment by 2025.
4.3. A cattle bTB vaccine could be a game-changer in terms of providing a strong
additional tool to help eradicate bovine TB. In July 2020, we announced that the
Veterinary Medicines Directorate (VMD) had granted permission for field trials of
both the candidate vaccine, CattleBCG, and the candidate DIVA skin test. Like
other veterinary medicines, both CattleBCG and the DIVA skin test will need
4 https://assets.publishing.service.gov.uk/government/uploads/system/uploads/attachment_data/file/909950/tb-licensing-guidance-ne.pdf
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VMD marketing authorisations before they can be deployed. We hope that field
trials will provide the evidence required for future United Kingdom (UK) marketing
authorisations and for the DIVA skin test to be recognised internationally.
4.4. The aim is to start field trials in 2021 and complete them in 2024. We have now
tendered for a Contract Research Organisation to run the trials. Provided the
trials go as hoped and VMD considers the marketing authorisation applications
satisfactory with respect to quality, safety and efficacy, the timeline envisages
those authorisations being granted in 2025. This would pave the way for
removing or relaxing the current legal barriers to vaccinating cattle against bTB in
England. The government will work with stakeholders to develop an appropriate
vaccine deployment strategy.
4.5. The World Organisation for Animal Health (OIE) sets animal health standards for
international trade in animals as the principal reference for World Trade
Organization members. OIE makes no provision for vaccination of cattle against
bTB. In order to enable trade in vaccinated cattle, we will need the DIVA skin test
to be recognised internationally and secure amendments to OIE standards, so
they cover trade in vaccinated cattle, and (if necessary) also their products.
4.6. In February 2020, the government also published an update on the plans to
reform agricultural policy, underpinning our ambitious vision for farming outside of
the European Union (EU) and towards a system based on paying public money
for public goods. On 1 January 2021 the agricultural transition period started.
Between 2021 and 2027, we will gradually reduce and then stop untargeted
Direct Payments. We will invest the money we free up to support agriculture in
different ways. Farmers will have access to public money to help them deliver
environmental outcomes on the land they manage; help their businesses become
more productive and sustainable; and improve animal health and welfare.
4.7. One key pillar of the new agricultural policy is the Animal Health and Welfare
Pathway, which we are co-designing with industry. This will promote the
production of healthier, higher welfare animals at a level beyond compliance with
current regulations through financial assistance; strengthen the regulatory
baseline and improve consumer transparency. Key components of the Pathway
will be critical to the success of the bTB Strategy.
4.8. For example, animal health and disease support will drive improved levels of
biosecurity on-farm and deliver more focussed veterinary advice. We will also
provide grants so that farmers can invest in equipment, technology and
infrastructure that improve health, biosecurity, welfare, productivity and
environmental outcomes. This will allow us the opportunity to expand support for
our bTB eradication objective, beyond the grant support options that have been
available under the Rural Development for England (RDPE) Countryside
Productivity Small Grants scheme to date. There may be other opportunities to
align our approach as we look to implement further changes to the bTB Strategy.
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4.9. Initial discussions with industry suggest that a bespoke approach to bTB
eradication is still needed at present to tackle the significant challenge it poses.
That said, we continue to work in partnership with industry to maximise and
capitalise on the opportunities this significant period of change presents, and
where appropriate to align the approach we take on bTB to that of the Pathway.
Part B: Proposals to further help eradicate
bovine TB in England
5. TB Testing
Background
5.1. The government’s response to the Godfray review set out our plans to make
better use of the existing range of tests to intercept bTB earlier and remove it
from cattle herds more quickly. This means using the most appropriate bTB
diagnostic tests for surveillance and breakdown management, in a targeted,
evidence-based and flexible way, as part of a range of practical and
proportionate measures.
5.2. The proposals set out in this consultation signal the next phase of adapting the
bTB surveillance programme to reflect the best available diagnostic tools and
resources available to deliver them, taking account of the local epidemiological
situation, statutory obligations and international standards required for trade.
Further ideas on how we could change and improve our approach to testing are
included in the related call for views.
6. Proposal 1: Extending Post-Movement TB testing to
parts of the Edge Area Rationale
6.1. The latest statistics for England5 show a gradually improving disease picture in
the HRA and very low and stable levels in the Low Risk Area (LRA). Within the
Edge Area, however, there is substantial variation from county to county. Some
parts of the Edge Area have in recent years seen an increase in TB breakdowns,
while herds in other parts remain at relatively low risk. While we need to tackle
the former through more sensitive testing and, where necessary, addressing the
5 https://www.gov.uk/government/collections/bovine-tb
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reservoir of infection in wildlife, we also need to protect the lower incidence parts
of the Edge Area.
6.2. The low TB rates in some Edge Area counties on annual surveillance testing are
similar to those in the adjoining LRA. Introducing post-movement testing in
annually tested Edge Area counties would help sustain their relatively low TB risk
status by mitigating the risk of disease spread though cattle movements.
Proposal
6.3. We propose to extend the current mandatory post-movement skin testing
policy. Cattle moved into the parts of the Edge Area subject to annual TB
surveillance testing would require a post-movement skin test. This would
apply to cattle moving from higher risk areas of Great Britain (GB) i.e. the HRA,
Edge Areas on six monthly surveillance testing6 and Wales. Mandatory post-
movement skin testing is already required for cattle moved to the LRA from those
parts of GB where herds are subject to annual or more frequent TB surveillance
testing. We are discussing with Welsh Government the case for exempting from
post-movement testing cattle moved from the low TB area of Wales to those
parts of England where the policy operates.
6.4. As in the LRA, cattle moving to the lower TB incidence Edge Area counties from
higher risk areas, and not slaughtered within 120 days, would have to be post-
movement tested on the destination holding between 60 and 120 days of arrival.
Cattle keepers would be responsible for arranging and paying for the post-
movement skin tests, though government-funded herd surveillance skin tests
would qualify as valid post-movement tests where the timing works. Cattle could
not be moved out of the herd of destination without a post-movement test with
negative results, except in limited and prescribed scenarios (see paragraph 6.8
below).
6.5. The Edge Area counties where post-movement testing would be required are:
• Buckinghamshire
• East Sussex
• Leicestershire
• Northamptonshire
• Nottinghamshire
6.6. In the following Edge Area counties, post-movement testing would only be
required in those parishes on annual surveillance testing (see Annex A: List of
6 The whole counties of Cheshire, Oxfordshire and Warwickshire and parts of Berkshire, Derbyshire and Hampshire
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parishes in Berkshire, Derbyshire and Hampshire that would be required to post-
movement test for details).
• Berkshire
• Derbyshire
• Hampshire
6.7. We are not proposing to introduce mandatory post-movement testing in the parts
of the Edge Area subject to six-monthly surveillance testing.
6.8. Exemptions to the prohibition on movements of cattle required to be post-
movement tested in the relevant Edge Area herds would be limited to:
• Cattle slaughtered within 120 days of arrival.
• Cattle moved from herds in the LRA, in Scotland, or in other annual
surveillance testing parts of the Edge Area.
• Cattle moved to an agricultural show where the animals are not housed
and/or do not stay on the showground for more than 24 hours.
• Cattle moved to a place of veterinary treatment provided that the animal is
returned direct to its premises of origin after the treatment, or is killed, or
goes directly to slaughter.
• Cattle moved to one of the following premises:
o directly to a slaughterhouse
o an Approved Finishing Unit (AFU) licensed by the Animal and Plant
Health Agency (APHA);
o a market from which all animals go directly to slaughter;
o an exempt market; or
o an approved collection centre.
6.9. If a bovine animal remains untested for more than 120 days after arriving in an
annual testing part of the Edge Area, the post-movement test would become
overdue. Movement restrictions would then be applied on the whole herd until all
animals that should have had a post-movement test have been removed to
slaughter or tested, with negative results, at the owner’s expense.
6.10. Introducing this proposal would require a legislative change.
Expected economic impacts
6.11. We recognise that post-movement testing will have cost implications for industry
and have completed a ‘Regulatory Triage Assessment’ (RTA - a form of cost
benefit analysis) which can be found at Annex B: Regulatory Triage Assessment
- Extending Post-Movement TB testing to parts of the Edge Area .
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6.12. We invite your comments on the assumptions and data that underpin this
assessment, which will be updated following the conclusion of the consultation
exercise.
Questions: Q1a. Do you support the proposal to introduce mandatory post-movement testing of
cattle moving from higher TB risk regions of Great Britain (the HRA, Edge Areas on
six-monthly surveillance testing and Wales) into those parts of the Edge Area where
herds are on annual surveillance testing?
a. Yes
b. No
c. I don’t know/I don’t have enough information
Q1b. Please give reasons for your answer. Where available, please provide
supporting evidence.
Q2a. Do you agree with the assumptions and the assessment of costs and benefits
in the Regulatory Triage Assessment on introducing post-movement testing to parts
of the Edge Area?
a. Yes
b. No
c. I don’t know/ I don’t have enough information
Q2b. Please give reasons for your answer. Where available, please provide
supporting evidence. We particularly welcome evidence on the following
assumptions:
• additional time and/or inconvenience to farmers of facilitating a post-
movement test,
• batch size of bovine animals tested (i.e. the number of bovines tested) in a
post-movement test,
• proportion or number of inward cattle movements which use a routine
diagnostic test to double up as a post-movement test (so would not require
an additional post-movement test), in either 6 monthly or 12 monthly counties
of the Edge Area.
7. Proposal 2: Use of the interferon-gamma test in the
HRA and Edge Area Rationale
7.1. Our current interferon-gamma (IFN-γ) test policy has been in place for over three
years. In the HRA, the test is used in new breakdown herds in badger control
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areas that have completed at least two years of culling. In the Edge and LRA, it is
used to supplement the skin test in all new breakdowns with lesion and/or culture
positive animals. The IFN-γ test is also deployed in persistent breakdown herds
and in other prescribed situations, for example in severe (‘explosive’)
breakdowns which do not automatically qualify under the above criteria, and to
inform partial or whole herd slaughter decisions.
7.2. IFN-γ is the main ancillary test we use to maximise the detection of infected
animals in TB breakdown herds. It is a valuable tool for increasing the sensitivity
of TB testing (the ability of the test to identify truly infected animals as test-
positive). It is therefore appropriate to consider how its use might be enhanced,
particularly as the Godfray Review highlighted the need to use more sensitive TB
diagnostic methods, such as the IFN-γ blood test, in a more targeted way.
7.3. Within the HRA in 2019, 56% of new TB incidents occurred in herds that had
suffered at least one previous breakdown in the preceding 36 months. In the
Edge Area, the proportion was 46%. Although we cannot definitively identify the
source of infection for all TB breakdowns, residual cattle infection in herds (after
movement restrictions have been lifted) is a known potential source. Recurrence
of infection plays a large part in the bTB epidemic in the HRA, and to a lesser but
still significant extent in the Edge Area too. Targeting herds that suffer repeat
breakdowns with supplementary blood testing would reduce the likelihood of
leaving undetected infected animals in the herd and so reduce the risk of the
disease being spread to new herds through cattle movements.
Proposal
7.4. We propose that all new ‘Officially TB free status withdrawn’ (OTFW)7
breakdowns in the HRA and six-monthly surveillance testing parts of the
Edge Area, that meet the following criterion, should be subject to
mandatory IFN-γ testing:
• the breakdown occurred within 18 months of the herd regaining TB free status following a previous OTFW breakdown.
7.5. Our proposal involves moving away from the current approach of deploying the
test in new breakdown herds in badger control areas, and instead targeting herds
across the HRA and the six- monthly testing parts of the Edge Area that suffer
repeat breakdowns. In the annual surveillance testing parts of the Edge Area we
would continue with mandatory gamma testing of all new OTFW breakdowns. As
a result of these changes overall, use of the IFN-γ test would be spread across
the HRA and decrease in the Edge Area, however the test would be targeted to
7 Officially bovine Tuberculosis Free status Withdrawn (OTFW) refers to a herd with a TB incident in which additional evidence of M. bovis infection has been identified in at least one slaughtered bovine animal, i.e. M. bovis cultured from tissue samples and/or lesions detected in the carcase of a skin or IFN-γ test reactor.
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herds where more sensitive testing is of most benefit in resolving the TB
breakdown.
7.6. Supplementary blood testing of persistent OTFW breakdowns and discretionary
testing of, for example, ‘explosive’ breakdowns that do not qualify under the
above criterion would continue (this is part of the current policy). The policy in the
LRA would remain unchanged, i.e. all new OTFW breakdowns would continue to
be subject to mandatory IFN-γ testing.
7.7. A summary of the existing IFN-γ testing policy in England, together with a
detailed explanation of the changes we are now proposing, is included at Annex
C: Comparison of the current IFN-γ testing policy in England and the proposed
refinements to the policy.
7.8. Preliminary findings from an unpublished study by APHA, which looked at the
effect of parallel IFN-γ testing on cattle TB breakdowns’ duration and recurrence
in the Edge Area, support the targeting of recurrent breakdowns in the way we
propose. This study found that in the former Edge Area (i.e. as defined prior to
2018), deployment of the IFN-γ test was associated with approximately half as
many breakdown recurrences compared to when it was not used.
7.9. To date IFN-γ testing in the HRA has been focused primarily on OTFW herds in
areas where there have been at least two years of badger culling. The continuing
high TB recurrence rates in the HRA and Edge Area indicate that this more
sensitive test would now be better deployed in the way we propose.
7.10. A legislative change would not be needed to deliver this proposal. The earliest
we would anticipate introducing this policy change is April 2021.
Expected economic impacts
7.11. The changes we are proposing to our IFN-γ testing policy will not result in any
additional costs for industry. The main benefits of the proposal are:
• reduced risk of leaving cattle with undetected infection in herds following
a breakdown,
• reduced risk of cattle with undetected infection moving to other herds
following lifting of movement restrictions at the end of a breakdown,
• reduced risk of spill over of infection from cattle breakdowns back into the
local wildlife population, which is particularly important in areas that have
benefited from badger culling.
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Question: Q3a. Do you agree that Defra should revise the current policy for using the more
sensitive IFN-γ test in the HRA and Edge Area, so that in addition to persistent
breakdowns, use of the test is mandatory where the below criterion is met?
• TB breakdowns in the HRA and six-monthly testing Edge Area counties
that occur within 18 months of the herd regaining TB free status following a
previous OTFW breakdown.
a. Yes
b. No
c. I don’t know/ I don’t have enough information
Q3b. Please give reasons for your answer. Where available, please provide
supporting evidence.
8. Wildlife Control
Background
8.1. The current cull policy has been effective (Figure 1). We have seen statistically
significant reductions in OTFW incidence of 66% and 37% in the first two cull
areas over the first four years of culling8. There has also been no significant
perturbation effect immediately outside these cull areas where it had been
predicted TB would increase.
Figure 1. Change in TB incidence rates relative to comparison areas; from Downs et al8.
8 Downs et al., Assessing effects from four years of industry -led badger culling in England on the incidence of bovine tuberculosis in cattle, 2013–2017 Scientific reports (2019) 9:14666 https://doi.org/10.1038/s41598-019-49957-6
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8.2. Recent published raw data9 shows encouraging trends of reduced incidence and
prevalence across the first 32 cull areas compared with the years before culling
began. Compared with the average of the four years before culling started,
OTFW incidence has dropped by an average of 27% after 2 years, 51% after 4
years and 53% after 6 years in the first twenty-one, three and two areas
respectively.
8.3. The 2014 bTB strategy, which included widespread badger control, is working.
Across England the number of new TB herd incidents has reduced steadily over
the last three years with fewer herd breakdowns in 2019 than in any year since
2007 and 2020 is on course to see even fewer breakdowns10. This trend is most
pronounced in the HRA where the bulk of infections occur, with OTFW incidence
reducing from 14.7% in 2013, to 10.9% in 201911. Although in the Edge area it
has increased from 3.1% to 5.8% over the same time period.
8.4. Intensive badger culling has been implemented in 52 areas over approximately
68% of the HRA and 13% of the Edge Area. Government considers that it is
important that intensive culls are deployed across as much as possible of the
area where there is a reservoir of infection in badgers to ensure progress towards
the 2038 eradication goal. Maximum benefits should arise after simultaneous
culling across all licensed areas.
8.5. As set out in the government response to the Godfray Review, widespread
culling of badgers was only ever envisaged as a phase of an adaptive disease
control strategy. Now that industry is nearing the point where culling has been
implemented in all areas looking to address the risk from badgers using this tool,
it is time to prepare for a transition to wider non-lethal badger control.
8.6. The scientific consensus, summarised in Professor Charles Godfray’s
independent restatement of the evidence base in 201312, is that TB spreads
within and between populations of badgers and cattle, in the absence of effective
biosecurity and disease control measures. If the gains from widespread culling
are not to be eroded over the short-to-medium term, there remains the need for
ongoing control of the risk of TB from badgers, albeit with more emphasis on
non-lethal tools.
8.7. The proposals within this consultation make up an early phase of the
Government’s evolving strategy on badger disease control, clearly signalling the
end of the current widespread cull policy. This transitional period will give us time
9 https://www.gov.uk/government/publications/bovine-tb-incidence-of-tb-in-cattle-in-licenced-badger-control-areas-in-
2013-to-2019 10 https://www.gov.uk/government/statistical-data-sets/tuberculosis-tb-in-cattle-in-great-britain 11 https://www.gov.uk/government/publications/bovine-tb-epidemiology-and-surveillance-in-great-britain-2019 (see tab
B3 in the data spreadsheet) 12 Godfray, H.C.J and others (2013) A restatement of the natural science evidence base relevant to the control of bovine tuberculosis in Great Britain. Proceedings of the Royal Society B. https://doi.org/10.1098/rspb.2013.1634
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to undertake badger vaccination pilots and develop our future badger vaccination
policy, as well develop a policy which enables culling in exceptional
circumstances, where supported by epidemiological evidence. It is envisaged
that development of future culling policy will build on the adaptive approach taken
in response to bTB outbreaks in the LRA of England. The end of widespread
culling is also anticipated to coincide with changes in cattle measures, including
the timeline for market approval of the CattleBCG vaccination. Taken together, it
is anticipated that these cattle and badger measures should preserve the
benefits from intensive culling.
9. Proposal 3: Cease issuing Badger Disease Control
(intensive cull) licences for new areas post 2022
Rationale
9.1. Announcing the end to the issuing of new intensive cull licences now
demonstrates government’s commitment to transitioning away from widespread
badger culling as the principal strategy to address risks from the spread of
disease from wildlife to cattle.
9.2. The Government anticipates that any remaining areas located where there is a
significant reservoir of infection in badgers, and that wish to undertake culling for
the purposes of tackling bovine TB, will come forward to apply for a licence by
2022. This approach of simultaneous culling across all remaining licensed areas
should maximise the benefits of culling as this phase of the policy concludes.
9.3. Setting a clear date for when the last new intensive cull licences could be issued
will allow sufficient time for those areas who still wish to carry out a cull and are
able to do so, to prepare adequately to ensure they meet the requirements to
undertake a safe, effective and humane operation. This approach also provides
an opportunity for government to work with stakeholders on future wildlife control
policy (see paragraph 158.7).
Proposal
9.4. No areas will be issued with a new Badger Disease Control (intensive cull)
licence under the current policy after 1 December 2022.
Questions: Q4a. Do you agree with the proposal to cease the issuing of new Badger Disease
Control (intensive cull) licences after 2022?
a. Yes
b. No
c. I don’t know/I don’t have enough information
Q4b. Please give reasons for your answer.
17
10. Proposal 4: New Badger Disease Control (intensive
cull) licences issued in 2021 and 2022, could, after 2
years of culling, be revoked after a progress
evaluation by the Chief Veterinary Officer (CVO).
Rationale
10.1. The licensing criterion currently found in the Guidance to Natural England (NE) of
a minimum of four years of culling was based on analysis of the Randomised
Badger Control Trial (RBCT - a large-scale field trial that was set up in the 1990s
to quantify the impact of culling badgers on incidence of TB in cattle). This
analysis showed that it was only after the fourth annual cull that the net benefits
of culling inside cull areas outweighed the negative effects attributed to
perturbation where TB herd incidence increased in the area outside the culls (the
“perturbation effect”).
10.2. Only intensive cull licences are required to have a minimum duration of 4 years.
The duration of licences in the LRA is determined on a case by case basis, with
no minimum required by the policy due to the risk of the potential perturbation
effect being different and much lower than in the HRA and Edge Area. No
minimum cull duration is required by the Supplementary Badger Control (SBC)
policy, as the risk of a potential perturbation effect is expected to be much lower
after several years of culling.
10.3. Analysis of the initial three cull areas by Downs et al.13 shows an unexpected,
apparent lack of a perturbation effect in the areas surrounding the cull. The
reason for this is unknown, but a possible explanation is that cull areas have
harder boundaries than those in the RBCT. This is thought to lead to a reduction
in badger movement into and out of cull areas, therefore resulting in a reduction
in the spread of disease. Since the evidence for the perturbation effect in the
current culls is not as compelling as in the RBCT, the rationale for the
requirement for a four-year minimum cull which, as explained above, was
designed primarily to offset the disbenefits of the perturbation effect, is
substantially weakened.
10.4. It is evident from the RBCT that the benefits of culling are long term, lasting
several years after culling ceases. It would be wrong to conclude from the RBCT
results that, for example, the first year of culling had no long-term effect: it is
almost certainly the case that the reductions in cattle incidence inside cull areas
between the third and fourth cull cannot be attributed solely to the third cull but
13 Downs et al., Assessing effects from four years of industry-led badger culling in England on the incidence of bovine tuberculosis in cattle, 2013–2017 Scientific reports (2019) 9:14666 |https://doi.org/10.1038/s41598-019-49957-6
18
must be due, at least in part, to the first and second cull. Furthermore, the
benefits of culling persisted for at least a year after the RBCT trial period ended
and thus ~2 years after the last cull was completed.
10.5. It is possible that the benefits of culling, which plateaued after the third cull, may
have been generated by the first two years of culling and then maintained by
subsequent culls. This indicates that it should be possible for an intensive cull to
stop after two years and still potentially achieve considerable reductions in TB
incidence inside cull areas14. While this approach would reduce the costs of
culling (by reducing the overall cull length), shortening the cull from four years to
two or three years may lead to fewer total benefits than a four-year cull as the
RBCT results indicate that the benefits from culling would start to erode one or
two years earlier. This approach also assumes, pessimistically, that no
alternative measures, such as badger vaccination, are put in place.
10.6. The CVO agrees that in areas licensed for intensive culling in 2021 and 2022, it
may be possible to stop culling after two years. She advises that in order to make
such a decision, a progress evaluation would need to be made on an area by
area basis using all the epidemiological information available at the time. This
would be consistent with the adaptive management policy in place for the LRA.
10.7. This proposed change would not apply to existing intensive cull licences (i.e.
issued in 2020 or earlier) revoked and re-issued in order to give effect to a
boundary change or some other amendment to the original licence.
10.8. It should be noted that it is currently possible for any badger cull licence to be
revoked by Natural England so long as the revocation is not unreasonable (see
sections 10(8) and (9) of the Protection of Badgers Act 1992) and this will not
change as a result of this proposal.
Proposal
10.9. New Badger Disease Control (intensive cull) licences issued in 2021 and
2022, could, after 2 years of culling, be revoked after a progress evaluation
by the CVO.
14 There is no direct experimental evidence of the effect of a two- or three-year cull as all RBCT areas culled for at least four years so this approach is based on assumptions about what would happen based on extrapolation from existing evidence.
19
Questions:
Q5a. Do you agree with the proposal that new Badger Disease Control (intensive
cull) licences issued in 2021 and 2022, could, after 2 years of culling, be revoked
after a progress evaluation by the CVO?
a. Yes
b. No
c. I don’t know/I don’t have enough information
Q5b. Please give reasons for your answer.
11. Proposal 5: Reduce the initial financial
commitment of cull companies to three years funding
Rationale
11.1. Government wants to maximise the benefits achieved from enabling intensive
badger culling. It is important that the last remaining areas that meet the licensing
requirements start in 2021 and 2022.
11.2. To meet the requirements for an intensive cull licence the current Guidance
requires 90% of land within the licensed area to be either signed up or within
200m of participant land and for the company to hold sufficient funds to cover 4
years of culling and a 25% contingency sum.
11.3. Industry frequently report that it is difficult to collect these upfront costs from all
farmers, and key to successful sign up is face to face meetings between
company Directors and potential participants, which have been severely
impacted by COVID-19 restrictions. Despite the success of face to face
meetings, approximately 10% of landowners need significantly more time and
effort before they sign up.
11.4. Decreasing the potential duration of intensive culls, as outlined above in proposal
3, coupled with the current substantial upfront financial costs may deter some
companies from applying for licences in 2021 or 2022.
11.5. Fifty-two licensed cull areas have completed between 1 and 4 years of culls, and
the vast majority of culls have been judged effective by the CVO. The
government has not had to step in and deliver badger control in any area and it is
considered unlikely that it will have to do so for areas which receive a cull licence
in 2021 or 2022. The proposal to reduce the upfront financial commitment,
currently required under the Guidance, reflects the demonstrated low risk of
government involvement.
20
11.6. NE has a reliable process for ensuring that companies have robust operational
plans to deliver effective culls that meet the criteria contained in the Guidance,
and that sufficient funds are in place prior to any year’s culls commencing.
Despite some areas having greater costs than initially predicted, none have failed
the financial test.
11.7. In the unlikely event that government had to deliver operations to complete an
effective cull, the cost of such activity can be reclaimed from the company. There
are provisions within the agreements between cull companies, participants and
government which cover the reclaiming of any such costs.
11.8. To mitigate the risk of areas not coming forward before the 2022 deadline due to
the financial commitment currently required under the Guidance, we propose to
reduce the initial financial commitment required from the companies to the cost of
three years of culling.
Proposal
11.9. Reduce the initial financial commitment required from the companies prior
to application for a Badger Disease Control licence to the cost of three
years of culling.
Questions:
Q6a. Do you agree with the proposal to reduce the initial financial commitment
required from the companies prior to application for a Badger Disease Control
licence to the cost of three years of culling?
a. Yes
b. No
c. I don’t know/I don’t have enough information
Q6b. Please give reasons for your answer.
12. Proposal 6: Restrict any new Supplementary
Badger Cull (SBC) licences to two years and cease re-
issuing licences for areas which have previously
undertaken SBC
Rationale
12.1. In its response to the Godfray Review, the government acknowledged that it is
unrealistic to switch immediately to badger vaccination from widespread culling.
The response proposed piloting badger vaccination as soon as possible during
21
the transition phase. The information gained from these pilots will inform
development of our future policy for badger control.
12.2. To facilitate uptake of badger vaccination and participation in these pilot
schemes, we propose to restrict the duration of new SBC licences to two years
and to not issue new SBC licences to areas that have previously been included
in an SBC licence. Under this proposal, cull areas would have the two years in
which they were undertaking SBC to plan and undergo training to enable them to
switch from culling to vaccination if they so choose. We consider that two years
should be sufficient time to plan for and undertake this switch.
12.3. Under this proposal, once an area completes a 4-year intensive cull, it will not be
possible to apply for another 4-year intensive cull licence instead of a 2-year SBC
licence as a means to undertake 4 further years of culling.
12.4. We also propose that it will not be possible for areas that commence intensive
culling in 2021 and 2022 to be issued with SBC licences following the end of their
intensive cull.
12.5. Decreasing the duration of SBC may dissuade some cull companies that have
completed four years of intensive culling from applying for an SBC licence.
However, given the licensing requirements for SBC are much less onerous than
those for intensive culling already, we do not see this as a major blocker for those
cull companies who do wish to proceed with supplementary culling.
Proposal
12.6. Restrict SBC licences to a maximum of two years, from the current five.
Prohibit issuing of SBC (or Badger Disease Control) licences for areas that
have previously been included in one of these licences or areas licensed
for Badger Disease Control after 2020.
Questions:
Q7a. Do you agree with the proposal to restrict SBC licences to a maximum of two
years, and to prohibit the issuing of SBC licences for previously licensed areas or
areas licensed for Badger Disease Control after 2020?
a. Yes
b. No
c. I don’t know/I don’t have enough information
Q7b. Please give reasons for your answer.
22
Expected economic impacts
12.7. Intensive badger culling involves some economic costs associated with labour,
equipment and policing, but also results in some benefits from reduced incidence
of TB in cattle. SBC was introduced to maintain the badger population at low
levels to prolong the benefits of reduced TB breakdowns in cattle accrued from
intensive culling. Once SBC stops the badger population will grow over time and
the associated benefits of culling will be expected to erode unless other
measures, such as badger vaccination, are put in place.
13. When will any Guidance changes be implemented?
13.1. The responses to this consultation will be analysed and considered as part of
decisions about changes to the Guidance. Any decision by the Secretary of State
to introduce any of these proposals will be informed by the scientific evidence
and veterinary advice available, experience from the licensed badger control
operations and vaccination to date and responses to this consultation. If the
Guidance is revised as a result, the updated Guidance will be implemented
immediately.
Question:
Q8. Do you have any comments on the proposed revisions to the Guidance (Annex
D)?
23
Part C: Tell us what you think
14. Your comments invited - questions
Question (i): What is your name?
Question (ii): What is your email address?
Question (iii): What is your organisation?
Question (iv): Do you want your response to be confidential?
Q1a: Do you support the proposal to introduce mandatory post-movement testing of cattle moving from higher TB risk regions of Great Britain (the HRA, Edge
Areas on six-monthly surveillance testing and Wales) into those parts of the Edge Area where herds are on annual surveillance testing?
a. Yes
b. No c. I don’t know/I don’t have enough information
Q1b: Please give reasons for your answer. Where available, please provide supporting evidence.
Q2a: Do you agree with the assumptions and the assessment of costs and benefits in the Regulatory Triage Assessment on introducing post-movement testing to parts of the Edge Area?
a. Yes
b. No c. I don’t know/ I don’t have enough information
Q2b: Please give reasons for your answer. Where available, please provide
supporting evidence. We particularly welcome evidence on the following
assumptions:
• additional time and/or inconvenience to farmers of facilitating a post-
movement test,
• batch size of bovine animals tested (i.e. the number of bovines tested) in a
post-movement test,
• proportion or number of inward cattle movements which use a routine
diagnostic test to double up as a post-movement test (so would not require
an additional post-movement test), in either 6 monthly or 12 monthly counties
of the Edge Area.
24
Q3a. Do you agree that Defra should revise the current policy for using the more
sensitive IFN-γ test in the HRA and Edge Area, so that in addition to persistent
breakdowns, use of the test is mandatory where the below criterion is met?
• TB breakdowns in the HRA and six-monthly testing Edge Area counties
that occur within 18 months of the herd regaining TB free status following a
previous OTFW breakdown.
b. Yes
c. No
d. I don’t know/ I don’t have enough information
Q3b. Please give reasons for your answer. Where available, please provide
supporting evidence.
Q4a. Do you agree with the proposal to cease the issuing of new Badger Disease
Control (intensive cull) licences after 2022?
a. Yes
b. No
c. I don’t know/I don’t have enough information
Q4b. Please give reasons for your answer.
Q5a. Do you agree with the proposal that new Badger Disease Control (intensive
cull) licences issued in 2021 and 2022, could, after 2 years of culling, be revoked
after a progress evaluation by the CVO?
a. Yes
b. No
c. I don’t know/I don’t have enough information
Q5b. Please give reasons for your answer.
Q6a. Do you agree with the proposal to reduce the initial financial commitment
required from the companies prior to application for a Badger Disease Control
licence to the cost of three years of culling?
a. Yes
b. No
c. I don’t know/I don’t have enough information
Q6b. Please give reasons for your answer.
25
Q7a. Do you agree with the proposal to restrict SBC licences to a maximum of two
years, and to prohibit the issuing of SBC licences for previously licensed areas or
areas licensed for Badger Disease Control after 2020?
a. Yes
b. No
c. I don’t know/I don’t have enough information
Q7b. Please give reasons for your answer.
Q8. Do you have any comments on the proposed revisions to the Guidance (Annex
D)?
Q9: Do you have any other comments?
15. How to respond
15.1. We have written to organisations that we believe have a direct interest in the
proposals to raise awareness about this consultation and have invited them to
respond. We hope this will help ensure a wide range of informed views can be
considered. Anyone else who would like to respond to the consultation is
encouraged to do so. Each response will be considered in its own right and on its
own merits. The deadline for responses is 24 March 2021.
15.2. You can respond in one of three ways:
• Online by completing the questionnaire at: https://consult.defra.gov.uk/bovine-
tb-2020/eradication-of-btb-england
• Email to: [email protected]
• Post to:
Consultation Coordinator,
Defra 2nd Floor,
Foss House,
Kings Pool,
1-2 Peasholme Green,
York,
YO1 7PX
15.3. Our preferred method is online because it is the fastest and most cost-effective
way for us to collate, analyse and summarise responses. If you require a different
format, please let us know.
15.4. We intend to publish a summary of responses to this consultation on gov.uk. It
will not be practical to describe every response in detail.
26
15.5. The summary will not include your personal name (unless you have asked us to
include it) or other personal data such as contact details. The summary may
contain the name of your organisation, if you are responding on an organisation's
behalf.
15.6. Defra will retain copies of responses for a suitable length of time. Please note
that a member of the public can ask to see copies of information held. If you
need to keep any part of your response confidential, please tell us when you
respond. Please note that confidentiality disclaimers automatically added to
emails do not count.
15.7. Important: We will take your reasons into account if someone asks for
information. Because we must comply with the law, including access to
information legislation, we cannot promise that we will always be able to keep
details that you provide to us confidential.
16. Confidentiality and data protection
16.1. This consultation document and consultation process have been planned to
adhere to the Consultation Principles issued by the Cabinet Office.
16.2. Representative groups are asked to give a summary of the people and
organisations they represent and where relevant who else they have consulted in
reaching their conclusions when they respond.
16.3. Information provided in response to this consultation, including personal data,
may be published or disclosed in accordance with the access to information
regimes these are primarily the Environmental Information Regulations 2004
(EIRs), the Freedom of Information Act 2000 (FOIA) and the Data Protection Act
2018 (DPA). We have obligations, mainly under the EIRs, FOIA and DPA, to
disclose information to particular recipients or to the public in certain
circumstances.
16.4. If you want the information that you provide to be treated as confidential, please
be aware that, as a public authority, the Department is bound by the Freedom of
Information Act and may therefore be obliged to disclose all or some of the
information you provide. In view of this it would be helpful if you could explain to
us why you regard the information you have provided as confidential. If we
receive a request for disclosure of the information we will take full account of your
explanation, but we cannot give an assurance that confidentiality can be
maintained in all circumstances. An automatic confidentiality disclaimer
generated by your IT system will not, of itself, be regarded as binding on the
Department.
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16.5. This consultation is being conducted in line with the Cabinet Office “Consultation
Principles” and be found at:
https://www.gov.uk/government/publications/consultation-principles-guidance.
16.6. If you have any comments or complaints about the consultation process, please
address them to:
Consultation Coordinator, Defra 2nd Floor, Foss House,
Kings Pool, 1-2 Peasholme Green, York, YO1 7PX Or email: [email protected]
28
Annex A: List of parishes in Berkshire, Derbyshire and Hampshire that would be required to post-movement test
1. List of parishes in Berkshire that would be required to
post-movement test CP Number Parish Name CP Number Parish Name
02/068 Bisham 02/178 Ruscombe
02/069 Bray 02/179 St Nicholas Hurst
02/070 Cookham 02/180 Sandhurst
02/071 Hurley 02/181 Sonning 02/072 Maidenhead 02/182 Twyford
02/073 Remenham 02/183 Waltham St Lawrence
02/074 Shottesbrooke 02/184 Warfield
02/075 White Waltham 02/185 Wargrave
02/076 Winkfield 02/186 Wokingham
02/117 Reading 02/187 Wokingham Without
02/118 Shinfield 02/188 Woodley
02/123 Grazeley 02/191 Grazeley 02/126 Christchurch 02/195 Bracknell
02/166 Windsor 02/196 Charvil
02/167 Old Windsor 02/480 Britwell
02/168 Sunningdale 02/487 Datchet
02/169 Sunninghill 02/488 Eton
02/170 Arborfield and Newland 02/489 Horton
02/171 Barkham 02/492 Slough
02/172 Binfield 02/495 Wraysbury 02/173 Crowthorne 02/496 Cox Green
02/174 Earley 02/497 Wexham Court
02/176 Finchampstead 02/498 Colnbrook with Poyle
02/177 Winnersh
29
2. List of parishes in Derbyshire that would be required to
post-movement test CP Number Parish Name CP Number Parish Name
09/003 Pilsley 09/162 Glapwell
09/006 Blackwell 09/163 Grassmoor Hasland & Winswick
09/008 Morton 09/164 Heath & Holmewood
09/009 Pinxton 09/166 North Wingfield 09/011 South Normanton 09/167 Pleasley
09/013 Tibshelf 09/168 Scarcliffe
09/063 Abney & Abney Grange 09/169 Shirebrook
09/066 Baslow & Bubnell 09/170 Sutton Cum Duckmanton
09/071 Calver 09/172 Temple Normanton
09/073 Curbar 09/173 Tupton
09/076 Eyam 09/175 Holymoorside And Walton
09/080 Froggatt 09/184 Breaston
09/084 Grindlow 09/190 Draycott and Church Wilne
09/088 Hathersage 09/195 Hopwell
09/089 Hazlebadge 09/200 Long Eaton
09/090 Highlow 09/203 Ockbrook
09/091 Little Hucklow 09/208 Risley
09/097 Offerton 09/210 Shardlow & Great Wilne 09/098 Outseats 09/220 Barlborough
09/101 Pilsley 09/222 Clowne
09/107 Stoney Middleton 09/225 Dronfield
09/134 Aston 09/226 Eckington
09/135 Bamford 09/227 Elmton
09/138 Bradwell 09/228 Holmesfield
09/139 Brough And Shatton 09/229 Killamarsh
09/140 Castleton 09/233 Unstone
09/141
Chinley Buxworth &
Brownside 09/234 Whitwell
09/143 Derwent 09/235 Charlesworth 09/144 Edale 09/236 Chisworth
09/145 Whaley Bridge 09/237 Glossop
09/146 Hayfield 09/246 Ilkeston
09/147 Hope 09/252 Sandiacre
09/148 Hope Woodlands 09/256 Stanton By Dale
09/150 New Mills 09/271 Coton In The Elms
09/152 Thornhill 09/274 Lullington
09/153 Old Bolsover 09/275 Netherseal 09/154 Brimington 09/276 Overseal
09/155 Staveley 09/309 Chatsworth
09/157 Ault Hucknall 09/311 Chapel En Le Frith
09/158 Barlow 09/577 Tintwistle
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3. List of parishes in Hampshire that would be required to
post-movement test
CP Number Parish Name CP Number Parish Name 15/001 Wield 15/208 South Warnborough
15/002 Alton 15/209 Winchfield
15/003 Bentley 15/210 Yateley
15/004 Bentworth 15/212 Bramshott and Liphook
15/005 Binsted 15/213 Buriton
15/006 Chawton 15/216 Clanfield
15/007 East Tisted 15/217 Colemore & Priors Dean
15/008 Farringdon 15/218 Eastmeon 15/009 Froyle 15/220 Froxfield
15/010 Grayshott 15/221 Greatham
15/012 Headley 15/222 Hawkley
15/014 Kingsley 15/224 Langrish
15/015 Lasham 15/225 Liss
15/016 Medstead 15/226 Petersfield
15/017 Newton Valence 15/230 Steep
15/018 Selborne 15/233 Breamore 15/019 Shalden 15/234 West Tisted
15/020 Worldham 15/235 Burley
15/026 Barton Stacey 15/237 Bransgore
15/027 Bullington 15/238 Damerham
15/028 Chilbolton 15/239 Ellingham Harbridge & Ibsley
15/032 Goodworth Clatford 15/240 Fordingbridge
15/038 Leckford 15/241 Hale
15/041 Longstock 15/247 Martin
15/043 Nether Wallop 15/249 Ringwood
15/051 Stockbridge 15/250 Rockbourne 15/054 Upper Clatford 15/251 Sopley
15/056 Wherwell 15/253 Whitsbury
15/058 Old Basing 15/254 Woodgreen
15/061 Cliddesden 15/255 Ampfield
15/064 Dummer 15/256 Bossington
15/065 Ellisfield 15/257 Broughton
15/066 Farleigh Wallop 15/258 Buckholt
15/068 Herriard 15/260 East Dean
15/069
Mapledurwell & Up
Nately 15/261 East Tytherley
15/072 Newnham 15/263 Houghton 15/079 Tunworth 15/264 Kings Somborne
15/081 Upton Grey 15/265 Lockerley
09/159 Brampton 09/578 Grindleford
09/160 Calow 09/579 Aldercar & Langley Mill
09/161 Chesterfield 09/581 Ironville
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15/082 Weston Corbett 15/266 Michelmersh
15/083 Winslade 15/267 Mottisfont
15/089 Bradley 15/268 North Baddesley
15/091 Popham 15/269 Nursling & Rownhams
15/092 Preston Candover 15/270 Melchet Park & Plaitford
15/094 Bishops Waltham 15/271 Romsey Extra
15/095 Corhampton and Meonstoke 15/272 Romsey
15/096 Curdridge 15/274 Sherfield English
15/097 Droxford 15/277 West Tytherley
15/098 Durley 15/278 Wellow 15/099 Exton 15/282 City Of Southampton
15/100 Hambledon 15/284 Ashley
15/102 Shedfield 15/286 Beauworth
15/103 Soberton 15/287 Bighton
15/104 Swanmore 15/288 Bishops Sutton
15/105 Upham 15/289 Bramdean
15/106 Warnford 15/290 Candovers
15/107 West Meon 15/291 Cheriton 15/109 Botley 15/292 Chilcomb
15/111
Fair Oak & Horton
Heath 15/294 Compton & Shawford 15/112 Hedge End 15/295 Crawley
15/113 Otterbourne 15/299 Headbourne Worthy
15/115 Bursledon 15/302 Hursley
15/116 Chilworth 15/304 Itchen Stoke & Ovington
15/117 Eastleigh 15/305 Kilmiston
15/118 Hamble-Le-Rice 15/306 Kings Worthy
15/119 Hound 15/307 Little Somborne
15/122 West End 15/308 Littleton & Harestock 15/123 Gosport District 15/310 Micheldever
15/125 Boarhunt 15/312 New Alresford
15/128 Fareham 15/313 Northington
15/130 Havant District 15/314 Old Alresford
15/135 City Of Portsmouth 15/316 Owslebury
15/139 Southwick and Widley 15/317 Ropley
15/143 Wickham 15/319 Sparsholt
15/166 Boldre 15/321 Tichborne 15/167 Brockenhurst 15/322 Twyford
15/168 East Boldre 15/324 West Tisted
15/170 Lymington & Pennington 15/325 Winchester
15/175 Sway 15/326 Wonston
15/176 Beaulieu 15/327 Colden Common
15/177 Bramshaw 15/328 Four Marks
15/180 Copythorne 15/329 Itchen Valley
15/181 Denny Lodge 15/330 Denmead 15/182 Hythe and Dibden 15/331 Horndean
15/183 Totton and Eling 15/332 Rowlands Castle
15/184 Exbury and Lepe 15/333 Hook
15/185 Fawley 15/334 Weston Patrick
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15/186 Lyndhurst 15/335 Whitehill
15/187 Marchwood 15/338 Frenchmoor
15/188 Minstead 15/341 Braishfield
15/189 Netley Marsh 15/342 Crookham Village
15/190 Rushmoor District 15/343 Olivers Battery
15/191 Bramshill 15/344 Lindford
15/193 Crondall 15/346 Awbridge
15/195 Dogmersfield 15/348 South Wonston 15/197 Eversley 15/349 Ashurst & Colbury
15/199 Fleet 15/351 Badger Farm
15/200 Greywell 15/353 Hyde
15/201 Hartley Wintney 15/354 Hordle
15/202 Blackwater and Hawley 15/355 Milford-On-Sea
15/203 Heckfield 15/356 Nutley
15/204 Long Sutton 15/357 Sandleheath
15/205 Mattingley 15/359 New Milton 15/206 Odiham 15/360 Stroud
15/207 Rotherwick
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Annex B: Regulatory Triage Assessment - Extending Post-Movement TB testing to parts of the Edge Area
Regulatory Triage Assessment
Title of measure Edge Area Post Movement Testing (PoMT) for
Bovine Tuberculosis (TB) Cost Benefit Analysis
Lead Department/Agency Defra
Expected date of implementation Autumn 2021
Origin Domestic
Date 10/03/2020
Lead Departmental Contact Dan Hackett
Departmental Triage Assessment Deregulation (fast track)
Rationale for intervention and intended effects
Background.
Bovine Tuberculosis (bTB) is the biggest and most significant animal health problem facing
farmers and government in our country. It is a devastating disease, causing financial problems for
cattle farmers and their families. Government is committed to working with industry and the vet
profession to eradicate the disease by 2038. England is divided into three geographic areas
reflecting the variable TB prevalence rates across the country. Although at the national level there
has been some improvements in the disease picture, we still have the highest TB rates in Europe.
To protect our Low TB Risk Area (LRA) in the north and east of England, there is already a
requirement to post movement test (PoMT) cattle moved into herds in the England LRA from
higher risk areas of GB.
Within the ‘Edge’ Area, a buffer zone between the HRA and LRA, the aim is to bear down on the
disease and reduce the risk of spatial spread to the LRA. Although there is not a consistent
picture in all Edge Area counties, the incidence and prevalence of bTB for the area as a whole
have steadily increased over the last five years. Therefore, tackling bTB in the Edge Area of
England is strategically important if we are to achieve Officially TB Free (OTF) status for England
by 2038 as outlined in the Government’s bTB eradication Strategy for England. An independent
review of the bTB Strategy, led by professor Godfray in 2018, noted the worrying trend of
increased herd incidence of TB in the Edge Area and recommended introducing compulsory
PoMT into parts of this Area.
Economic Rationale for Intervention
The movement of cattle (e.g. for sale) is a common feature of a market where different farms
specialise in different stages of the supply chain such as rearing and finishing. However, cattle
movements increase the likelihood (this is a negative externality) of spreading bTB from the origin
herd to the destination herd because the available TB screening tests (especially the tuberculin
skin test) will not identify all infected animals. When cattle move, farmers do not have perfect
information on the likelihood that a given animal may be infected and may not take into account
the impact of onward transmission of bTB infection. Therefore, farmers may have insufficient
information to prevent bTB entering their herd and other herds, they may consider factors other
34
than likelihood of bTB infection to be more relevant when making cattle purchasing decisions, or
they may simply not seek information on the bTB history of the animals they buy.
PoMT increases the likelihood of finding previously unidentified TB infection present in both the
destination and origin herd and enables steps to be taken to reduce the extent of within-herd
spread and future TB incidents.
Viable policy options (including alternatives to regulation)
Do nothing: No mandatory PoMT. Under the baseline scenario PoMT continues to be a
requirement in the Low Risk Area (LRA) but not Edge Area counties as is current policy. Herds in
the Edge Area will continue to have government funded TB surveillance tests – at 6 monthly
intervals if they are in a county with a high TB incidence rate or annually if the disease levels are
low. But there would be no additional PoMT requirement.
• Option 1(preferred option): Mandatory PoMT of cattle moved to herds in Edge Area counties on annual surveillance testing from the higher TB risk regions of GB i.e. from the High Risk Area (HRA), Edge Area counties on six monthly testing and Wales.
• Option 2: Mandatory PoMT of cattle moving into all Edge area counties (i.e. those areas on annual or six monthly testing) from the High Risk Area, Wales and cattle moving between holdings in all parts of the Edge Area.
A non-regulatory approach (e.g. encourage voluntary testing) is deemed unlikely to succeed. For
other related TB policy changes, such as mandatory pre-movement and post-movement testing,
the statutory requirement was introduced only after a voluntary approach had failed .
Initial assessment of impact on business
As is current policy in the LRA, PoMT is introduced into Edge Area counties and in most cases the
farmer undertaking the PoMT would incur the financial cost. There are economies of scale in
diagnostic testing, so the total cost of testing a batch of animals is conditional on how many cattle
are tested in the batch. On a ‘per animal tested’ basis it is less costly to test larger batches of
animals than smaller batches.
An estimate of the financial cost (fees) that the farmer pays for veterinary services is included in
the analysis, as is the costs of tuberculin used in the SICCT 15 test. Finally, an estimate of the cost
of time and inconvenience to the farmer is included as the farmer will need to ensure the animals
are rounded up and ready to be tested.
Where a test positive animal16 (‘reactor’) is identif ied the destination herd will lose its OTF status
and become a breakdown herd, until follow-up TB herd testing is completed with negative results.
If TB is confirmed in the herd (visible lesions found in the carcase at slaughter and/or M. bovis
cultured from tissue samples), back- (and forward-) tracing activities are also initiated. The origin
herd would have a ‘check test’ which means it could also become a TB breakdown herd. These
breakdown herds would be put under movement restrictions and have to pass at least two rounds
of ‘Short Interval Tests’ (SITs) to regain Officially TB Free status. The SITs would be undertaken
at the financial expense of government, but with substantial inconvenience to the farmers
concerned. However, because infection would be identified earlier in the selling and buying herds
it is expected that there will be a net decrease in the number of breakdowns in other herds as
infection would be identified and removed earlier.
Cost-Benefit analysis
15 single intradermal comparative cervical tuberculin test. 16 All test positive animals (reactors) are assumed to be infected (i.e. ‘true positive’ animals). Given the high specificity of the SICCT test (99.9%) it is unlikely that reactors will be uninfected animals incorrectly testing positive in the PoMT (i.e. a ‘false positive’ animal).
35
Table 1 outlines the average annual number of cattle movements per year into the annual and six-
monthly testing parts of the Edge Area between 2016 and 2018 that are within scope of the policy
options i.e. we exclude movements of animals slaughtered within 120 days of being moved
because these movements are exempt from PoMT. Table 1 also does not include movements of
cattle to Approved Finishing Units (AFU) – cattle in bio-secure housed AFUs are not routinely TB
tested17.
Table 1: Average annual count of individual cattle moved into
the England Edge Area from higher risk counties of England
and Wales (2016 to 2018)18.
Movements to… Option 1 Option 2
Edge annual testing counties 70,563 171,135
Edge six-monthly testing counties N/A 68,831
Total for option 70,563 239,967
Farmers would generally incur the financial cost of the PoMT, though given the two month window
for this test some farmers would be able to use their government-funded routine bTB surveillance
test to double up as their PoMT where the timing of their PoMT coincided with their routine testing
window. For those farmers there would be no additional cost burden.
To estimate the number of animals that would have a PoMT it is therefore necessary to deduct
any movements of animals where the test would be undertaken as part of the routine surveillance
testing.To estimate the cost (and benefits) of PoMT, a conservative assumption is made that
farmers do not change the timing of their purchase. The implication is that surveillance tests are
assumed to double up as a PoMT in one sixth (17%) of movements to annual testing counties,
and one third (33%) of movements to 6 monthly testing counties. These reductions reflect the
proportion of time between successive surveillance tests which will be covered by the 60 day
window in which PoMT can be undertaken.
Table 2 below outlines the number of animals moved that are assumed to require a PoMT.
17 An intended consequence of the policy is to incentivise the establishment of an increased number of AFUs. If the buying herd sends an animal to an AFU rather than have the animals PoMT at a non-AFU facility then they are revealing that the AFU is a cheaper option. Hence, by assuming that proportionally there are no additional AFUs in the Edge area compared to the LRA we are making a conservative (upper end) estimate of the costs of introducing PoMT into the Edge area. 18 Note, there are more movements to annual testing counties for Option 2 because Option 2 includes movements from other annual testing counties. These movements are not within scope of Option 1. Specifically: Option 1 entails movements to England (annual testing counties only) from England HRA, England Edge (6 monthly testing counties) or Wales. Option 2 entails movements to England Edge (annual testing counties or 6 monthly testing counties) from England HRA, England Edge (annual testing counties or 6 monthly testing counties) or Wales.
36
Table 2: Average annual count of individual cattle who have a PoMT in England
Edge Area counties.
Movements to… Option 1 Option 2
Edge annual testing counties 58,802 142,613
Edge six-monthly testing counties N/A 45,888
Total for option 58,802 188,500
Defra Statistics on PoMT within the LRA of England show that 0.042%19 of animals tested in a
PoMT test positive. This analysis therefore assumes that 0.042% of animals which have a PoMT
in the England Edge Area will test positive for TB in the central scenario. The analysis also
assumes that each individual reactor disclosed at a PoMT occurs in different destination herds
such that each individual reactor is assumed to cause a breakdown in the destination herd 20.
Because the number of PoMT reactors in the LRA is small and Edge Area counties are more
likely to move animals in from the HRA compared with the LRA, this assumption is uncertain.
Therefore, a range around the central estimate of 0.042% made with an assumed 0.021%
(pessimistic) and 0.063% (optimistic) proportion of animals PoMT tested assumed to disclose a
reactor. Table 3 below summarises the range in the proportion of animals (and therefore PoMT)
that are assumed to disclose a reactor animals.
Table 3: Proportion of animals tested assumed to be reactors.
optimistic central
pessimis
tic
Proportion of animals tested assumed
to be reactors 0.063% 0.042% 0.021%
Costs
The analysis assumes that the ‘single intradermal comparative cervical tuberculin test’ (SICCT) is
undertaken to inform the cost estimates of PoMT.
The estimated fees for cattle tests includes a fixed cost component (i.e. independent of the
number of cattle tested) at £54 per testing event and a fee per animal tested of £2.13. In addition
a cost of £3.77 for tuberculin is assumed for each animal tested, this specific cost will be incurred
by government rather than at the expense of the individual farmer.
There will also be costs of time to the farmer to ensure that the animals are presented to be
tested. This is assumed to be a fixed cost independent of the total number of animals tested –
typically only a small batch of cattle would require a post-movement test. Data from the ‘Annual
Survey of Hours and Earnings’ (ASHE) provided the basis for an assumed hourly cost of farm
19 An average annual 25 reactors from 58,000 post movement tests (covering 2017 and 2018). 20 The implication of this assumption is that no PoMT breakdowns are assumed to entail multiple reactor animals. This assumption may be optimistic when it comes to estimating the benefits of breakdowns avoided. However, the assumption is based on outturn data from PoMT introduced into the Low Risk Area herds which source animals f rom lower risk cattle so in the assumed proportion of reactors assumption on this basis is conservative in this regard. Given the uncertainty around this assumptions a sensitivity scenario was undertaken on this assumption as part of this analysis.
37
time of £9.3721 per hour. The analysis assumes that a farmer will require four hours additional time
to facilitate the PoMT over the two days of the SICCT test at a cost of per £37 per PoMT event.
Table 4 below summarises the component costs of PoMT testing.
Table 4: Component costs of PoMT testing.
Cost component
Fixed
cost
Variable
cost (per
animal
tested)
Fees for test £53.81 £2.13
Cost of tuberculin £0.00 £3.77
Cost of farmer time £37.46 £0.00
Total £91.27 £5.90
Defra statistics22 from PoMT in the LRA informs that typically tests were conducted on a median of
10 animals. The mean number of animals per PoMT in the LRA was 20 animals per test.
Therefore to derive a central, pessimistic and optimistic cost estimate (on a cost per animal tested
basis) the analysis assume a central scenario of 10 animals tested per PoMT (approximately
£1523 per animal tested), with 5 animals tested in the pessimistic scenario (approximately £24 per
animal tested) and 20 animals tested in the optimistic scenario (approximately £10 per animal
tested). Table 5 below outlines the range of costs assumed in each scenario based on the number
of animals assumed to be tested in each batch for PoMT with a central estimate of £15 per animal
tested with a range of £10 to £24.
Table 5: Cost of PoMT per animal tested.
optimistic central
pessimis
tic
Average number of animals tested in
each PoMT batch 20 10 5
total cost to test batch £209.23 £150.25 £120.76
Average cost of PoMT per animal £10.46 £15.02 £24.15
The destination herd will become a breakdown herd as a result of the disclosure of a reactor at
the PoMT. If TB is confirmed in the herd (visible lesions found in the carcase of the reactor at
slaughter and/or M. bovis cultured from tissue samples), then tracing activities are undertaken.
The origin herd will undergo a check test to assess whether infection is present and so the origin
herd may also become a breakdown as a result of the PoMT. However, these breakdowns would
21 Average of ‘Raising of dairy cattle’ at £9.25 and ‘Raising of other cattle and buffaloes’ at £9.48 equates to £9.37 (2018 data converted to 2019 prices). 22 Derived from Defra ‘SAM’ dataset. 23 Costs per animal are estimate based on the fixed and variable costs outlined as ‘fees for test’ in table 4 divided by the number of animals tested.
38
probably have been disclosed at the next routine surveillance test. As a consequence, these
breakdowns are not considered to be additional breakdowns compared to the counterfactual of
having no mandatory PoMT.
Benefits
By identifying and removing infected animals earlier than otherwise would have been the case
(from both the origin and destination herds) there is likely to be a net decrease in the number of
breakdowns in other herds as onward infection is avoided. It is not possible to identify which herds
would otherwise have been infected and there will likely be a time lag between the PoMT
disclosing a reactor and another herd becoming infected had the PoMT not been undertaken.
Because routine testing occurs more frequently in the six-monthly testing portion of the Edge Area
compared to annual testing portion, the duration of time between the PoMT and the next
scheduled routine test is lower. This means that there is a shorter duration of time when an
infected but undetected animal is at risk of infecting other animals in other herds.
However, it is highly uncertain and complex to model the difference in onward transmission rates
as a consequence of the duration of time that infection is not disclosed. The best judgement on
onward infection avoided provided by APHA (Animal and Plant Health Agency) scientists is that
each reactor at a PoMT will reduce onward infection to third herds at a rate of 1.5 secondary
breakdowns avoided per reactor disclosed at a PoMT (in the low and high scenarios this estimate
is 1.0 and 2.0 respectively). Table 6 below outlines the range of net breakdowns assumed to be
avoided for each animal that tests positive in a PoMT.
Table 6: Net reductions in breakdowns resulting from each PoMT reactor disclosed.
optimistic central
pessimis
tic
Net reductions in breakdowns
resulting from each PoMT reactor
disclosed 2.0 1.5 1.0
Research undertaken by University of Reading (2004)24 provides an estimate of the cost of an
average breakdown at £19,409 converted into 2019 prices (of this £9,106 is incurred by
government and £10,303 by industry).
Table 7 below outlines the assumed number of reactors disclosed at PoMTs each year for each
option in the high, central and low scenario. The table also states the number of secondary
breakdowns in third herds avoided for each reactor disclosed at a PoMT (through onward infection
avoided). The final column calculates the net annual reductions in breakdowns as a result of the
policy. In the central scenario 37 breakdowns are avoided per annum for option 1 and 119 for
option 2.
24 University of Reading http://randd.defra.gov.uk/Default.aspx?Menu=Menu&Module=More&Location=None&ProjectID=10137
39
Table 7: Annual number of breakdowns avoided as a result of PoMT
Option Scenario
Reactors
disclosed at
PoMT
Secondary
herd
breakdowns
avoided per
PoMT reactor
Annual
Reduction in
Breakdowns
Pessimistic 12.4 1 12.4
Option 1 Central 24.8 1.5 37.2
Optimistic 37.2 2 74.4
Pessimistic 39.8 1 39.8
Option 2 Central 79.5 1.5 119.3
Optimistic 119.3 2 238.6
For each reactor disclosed at a PoMT the appropriate assumed number of secondary breakdowns
avoided is estimated for each option and assumed constant over the 10-year appraisal period.
Each breakdown avoided is valued at the cost of a breakdown and monetised over time using the
HMT Greenbook 3.5% annual discount rate.
Table 8 summarises the lifetime present value costs and benefits associated with the central
scenario.
Table 8: Present Value costs and Benefits over 10 years – central scenario.
units: £m Policy Option 1 Policy Option 2
PV Benefits £6.22 £19.93
PV Costs £7.61 £24.38
Net Present Value -£1.39 -£4.45
BCR 0.818 0.818
The best assessment of costs and benefits is that monetised costs will exceed monetised
benefits. The Present Value of costs and benefits for the preferred option (option 1) are £6.22
million and £7.61 million respectively the Net Present Value (NPV) is -£1.39 million.This results in
a Benefit Cost ratio of 0.81825. Some key non monetised benefit are expected increase in the
number of AFUs, reduction in the number of high risk movements and behaviour change26. These
non monetised benefits have the potential to switch the NPV positive – but was deemed too
uncertain to monetise explicitly.
25 A BCR below 1 implies that monetised costs exceed monetised benefits. Conversely, a BCR above 1 implies that monetised benefits exceed monetised costs. A BCR equal to 1 implies a break-even scenario where the magnitude of monetised costs and monetise benefits are equivalent. 26 Behaviour change may include: change in timing of purchase to coincide with routine test. A reduction in movements in aggregate (which may disproportionately affect movements of cattle in smaller batches), substitution to source cattle from lower risk herds / areas.
40
The modelled BCR of option 2 is also 0.818, the difference being that options 2 entails more
PoMTs being undertaken each year such that assumed costs and benefits increase
commensurately27.
Sensitivity Analysis.
Tables 9-11 summaries three sensitivity scenarios where a single assumption is varied to assess
the strength of the economic case to implement PoMT in the Edge area under optimistic and
pessimistic assumptions.
Table 9: Present Value costs and Benefits over 10 years. Sensitivity on the cost of TB testing.
pessimistic optimistic
Unit: £m (Present Value) Option 1 Option 2 Option 1 Option 2
Benefits £6.22 £19.93 £6.22 £19.93
Costs £12.23 £39.19 £5.30 £16.98
Net Benefit -£6.01 -£19.26 £0.92 £2.96
BCR 0.509 0.509 1.174 1.174
^ Note, pessimistic assumes PoMT cost £24.15 per animal tested, optimistic assumes PoMT cost £10.46 per animal tested.(central scenario = £15.02)
Table 10: Present Value costs and Benefits over 10 years. Sensitivity on assumed breakdowns
avoided per reactor disclosed at a PoMT.
pessimistic optimistic
Unit: £m (Present Value) Option 1 Option 2 Option 1 Option 2
Benefits £4.15 £13.29 £8.29 £26.58
Costs £7.61 £24.38 £7.61 £24.38
Net Benefit -£3.46 -£11.09 £0.69 £2.20
BCR 0.545 0.545 1.090 1.090
^ Note, pessimistic assumes 1.0 breakdowns avoided per reactor disclosed, optimistic assumes 2.0 breakdowns avoided (central scenario = 1.5)
27 An important consideration that has not been modelled is that routine diagnostic testing is more frequent in 6 monthly testing counties than annual testing counties so the expected duration that infection may go undiagnosed may therefore be shorter in these counties with associated fewer breakdowns avoided.
41
Table 11: Present Value costs and Benefits over 10 years. Sensitivity on assumed proportion of
PoMT that disclose a reactor.
pessimistic optimistic
Unit: £m (Present Value) Option 1 Option 2 Option 1 Option 2
Benefits £3.11 £9.97 £9.33 £29.90
Costs £7.61 £24.38 £7.61 £24.38
Net Benefit -£4.50 -£14.41 £1.72 £5.52
BCR 0.409 0.409 1.226 1.226
^ Note, pessimistic assumes 0.021% of animals PoMT are reactors, optimistic assumes 0.063% are
reactors (central scenario = 0.042%)
Table 12 provides a final sensitivity where all 3 of the assumptions varied in tables 9 to 11 are set
to optimistic or pessimistic levels in combination.
Table 12: Present Value costs and Benefits over 10 years. Combined sensitivity scenario.
pessimistic optimistic
Unit: £m (Present Value) Option 1 Option 2 Option 1 Option 2
Benefits £2.07 £6.64 £12.44 £39.87
Costs £12.23 £39.19 £5.30 £16.98
Net Benefit -£10.15 -£32.55 £7.14 £22.89
BCR 0.170 0.170 2.348 2.348
Chart 1 below summarises the sensitivity analysis of the preferred policy option (option 1).
Chart 1: Sensitivity Analysis of Net Present Value (NPV).
42
In each of the sensitivity scenarios the NPV of the preferred option becomes positive under more
optimistic assumptions. Chart 1 illustrates that though the economic case for PoMT in our central
scenarios is not strong, given the high level of uncertainty around some key assumptions it is
within the bounds of uncertainty that the benefits of PoMT in the edge area could exceed costs.
BIT status/score
The policy is a NQRP because annualised costs to business are less than £5 million. The
equivalent annual net direct cost to business (EANDCB) for options 1 is estimated to be £883,000
and for option 2 the EANDCB is estimated to be £2,832,000.
Within the analysis, the estimated costs and beenfts to industry comprised both the costs to
business of undertaking the testing and the benefits (cost avoided) to business of future
breakdowns avoided. These costs and benefits were equal to these levels (in real terms) for each
year of the 10 year appraisal period.
Rationale for Triage rating
Annualised costs to business are less than £5 million.
43
Annex C: Comparison of the current IFN-γ testing policy in England and the proposed refinements to the policy
Mandatory
testing
Current policy Proposed refinements
HRA OTFW breakdowns which meet the
following criteria:
Criterion 1 – herds where the most
likely source of infection determined
by the APHA investigation was
cattle related e.g. cattle movements,
contiguous infection, recrudescence
Criterion 2 – herds located in a
BCP area that has completed at
least two annual rounds of licensed
badger culling.
Criterion 3 – chronic and persistent
breakdowns
OTFW breakdowns which meet the
following criterion:
breakdown occurred within 18
months of the herd regaining OTF
status following a previous OTFW
breakdown
Chronic and persistent OTFW
breakdowns
Edge Area All new OTFW breakdowns
Chronic and persistent OTFW
breakdowns
OTFW breakdowns in six-monthly
surveillance testing parts that satisfy
the following criterion:
breakdown occurred within 18
months of the herd regaining OTF
status following a previous OTFW
breakdown
All new OTFW breakdowns in
annual surveillance testing parts
Chronic and persistent OTFW
breakdowns
LRA All new OTFW breakdowns
Chronic and persistent OTFW
breakdowns
All new OTFW breakdowns
Chronic and persistent OTFW
breakdowns
44
Annex D: Revised Guidance to Natural England
Guidance to Natural England
Licences to kill or take badgers for the
purpose of preventing the spread of
bovine TB under section 10(2)(a) of
the Protection of Badgers Act 1992
The additions/amendments are highlighted in yellow throughout.
45
© Crown copyright 2021
You may re-use this information (excluding logos) free of charge in any format or medium,
under the terms of the Open Government Licence v.3. To view this licence visit
www.nationalarchives.gov.uk/doc/open-government-licence/version/3/ or email
This publication is available at www.gov.uk/government/publications
Any enquiries regarding this publication should be sent to us at
Defra Nobel House
17 Smith Square London SW1P 3JR
www.gov.uk/defra
PB 14384
Contents
Scope of this guidance .............................................................................................................. 2
The policy ................................................................................................................................... 2
Culling policy requirements ....................................................................................................... 3
Supplementary badger disease control requirements............................................................. 7
Low risk area badger disease control requirements................................................................ 9
Vaccination policy requirements ............................................................................................. 12
Implementation ........................................................................................................................ 13
Monitoring ................................................................................................................................ 15
Reporting and disclosure of information................................................................................. 15
Enforcement............................................................................................................................. 15
Welsh and Scottish border ...................................................................................................... 16
Glossary ................................................................................................................................... 17
2
Scope of this guidance
1. This guidance is given by the Secretary of State to Natural England under section 15(2)
of the Natural Environment and Rural Communities Act 2006 (NERC Act), and
represents the Secretary of State’s considered views, based on current scientific
evidence, about what is required for any cull of badgers for bovine tuberculosis (TB)
control purposes to be effective, safe and humane.
2. Section 15(6) of the NERC Act requires Natural England to have regard to this
Guidance in discharging its functions. The Secretary of State has consulted Natural
England and the Environment Agency in accordance with section 15(3)(a) and (b) of
the Act and, in accordance with section 15(3)(c) of the Act, has also consulted more
widely through public consultation.28
3. An agreement under section 78 of the NERC Act was entered into with effect from 1
October 2006 authorising Natural England to carry out various Defra functions including
those relating to licensing under the Protection of Badgers Act 1992 and the Wildlife
and Countryside Act 1981.
4. This Guidance relates only to licensing functions under section 10(2)(a) of the
Protection of Badgers Act to kill or take badgers for the purpose of preventing the
spread of TB, and any associated licensing functions under section 16(3)(g) and (h) of
the Wildlife and Countryside Act 1981 in relation to any activity that (in the absence of
such a licence) would be prohibited under section 11 of that Act. Guidance for all other
licensing relating to badgers is given in a separate document.
5. TB policy is devolved. With the exception of paragraph 41, this guidance relates to
England only.
The policy
6. The Government’s policy is to enable the licensed culling or vaccination of badgers for
the purpose of controlling the spread of TB, as part of the Strategy for achieving
Officially Bovine Tuberculosis Free status for England.29 There are three types of
culling licence. Which is applicable will depend on the phase of the proposed culling
operations and the TB risk area in England concerned:
• A Badger Disease Control licence is required where culling is to take place for the
first time in the High Risk Area or Edge Area of England
28 Defra consultations: 2011 The government’s policy on bovine TB and badger control in England
https://www.gov.uk/government/publications/the-government-s-policy-on-bovine-tb-and-badger-control-in-
england; 2015 Bovine TB: updating the criteria for badger control licence applications
https://www.gov.uk/government/consultations/bovine-tb-updating-the-criteria-for-badger-control-licence-
applications; 2016 Bovine TB: supplementary badger disease control
https://www.gov.uk/government/consultations/bovine-tb-supplementary-badger-disease-control 29 The Strategy for achieving Officially Bovine Tuberculosis Free status for England (PB 14088). https://www.gov.uk/government/publications/a-strategy-for-achieving-officially-bovine-tuberculosis-free-status-for-
england
3
• A Low Risk Area Badger Disease Control licence is required where culling is to
take place in a zone of the Low Risk Area (LRA) of England specified by the Animal
and Plant Health Agency, where there is evidence that infection with Mycobacterium
bovis is present in badgers and linked with infection in cattle herds.
• A Supplementary Badger Disease Control licence is required where culling is to
take place to prevent the recovery of the badger population following the completion
of annual culling that has lasted at least four years under a Badger Disease Control
licence.
7. Throughout this document, where the term ‘completed’ or ‘prior’ cull is used this
describes a cull that was carried out under a Badger Disease Control licence for a
minimum duration of four years. A Glossary can be found at the end of this Guidance.
Culling policy requirements
8. Applications for Badger Disease Control licences must meet the following criteria.
a. All participating farmers are complying, and for the duration of any licence
continue to comply, with statutory TB controls.
b. Reasonable biosecurity measures are being, and for the duration of any licence
will continue to be, implemented by participating farmers on their land to provide
a strong protection against the spread of infection. For this purpose ‘reasonable
measures’ means measures that in the particular circumstances are practicable,
proportionate and appropriate, having regard to the Bovine TB Biosecurity Five-
Point Plan.30
c. The application must cover an area of at least 100km2.31
d. The area must be composed of land wholly within the High Risk or Edge Areas
at the time of application32.
e. The size and number of areas of inaccessible land within the application area
should be minimised for the purposes of effective disease control, with
approximately 90% of the land within the application area either accessible or
within 200m of accessible land. The variance from 90% which will be accepted
will be decided by Natural England on a case-by-case basis, taking into account
such specific circumstances as Natural England considers relevant, e.g.
topography, land use and badger sett surveys or any other matter that Natural
England considers relevant. Natural England should have regard to any advice
on the application from the UK Chief Veterinary Officer (CVO).
30 http://www.tbhub.co.uk/biosecurity/protect-your-herd-from-tb/ 31 Paragraphs 3.13 and 3.14 of the 2015 consultation on revised licensing criteria for Badger Disease Control
explain the rationale for this area size: https://www.gov.uk/government/consultations/bovine-tb-updating-the-criteria-for-badger-control-licence-applications. 32 These areas are currently subject to a minimum of annual herd testing.
4
f. Applicants must put in place reasonable measures to mitigate the risk to
non-participating farmers and landowners of a potential increase in confirmed
new incidents of TB in vulnerable livestock within the culled area and in the 2km
ring surrounding the culled area; and consider whether any measures are needed
to protect the interests of any non-farming interests that may be affected by
badger control.
g. For this purpose ‘reasonable measures’ means measures that in the particular
circumstances are practicable, proportionate and appropriate. When assessing
the reasonableness of measures, applicants and Natural England should take
into account the cost of measures relative to the potential cost to non-participants
of the anticipated increase in TB incidence.
h. Applicants must enter into an agreement with Natural England under section 13
of the NERC Act (the “Badger Control Deed of Agreement”) requiring them to
comply with the requirements contained in this guidance and any additional
licence conditions for the purpose of ensuring that –
i. an effective cull is carried out each year in which the licence is in operation
for a minimum of four years; and
ii. the financial deposit (see paragraphs 8k and l) is sufficient and is
managed appropriately.
i. All land holders, unless the agreement states otherwise, must enter into
agreements with Natural England under section 7 of the NERC Act (the “TB
Management Agreement”) requiring them to permit access to their land for culling
(including by government) and to take appropriate biosecurity measures (as
required in paragraph 8b), and agreeing that government can recover any
additional costs of culling.
j. Where land is tenanted, the freeholder owners (or landlords) must generally also
sign an undertaking appended to this agreement agreeing to permit access to the
land for culling (including by government). Natural England may permit
dispensations in certain cases, provided it considers that the likelihood of the total
accessible land falling below an acceptable level (approximately 90% of the
control area either accessible or within 200m of accessible land, see paragraph
8e above) as a result of the termination of any tenancy for any reason would still
be very low. This may depend on:
i. the margin of accessible land above 90% that is accessible or within
200m of accessible land;
ii. the proportion of accessible land where the freehold owner is not
participating, and
iii. the length of the tenancies to which the accessible land is subject.
5
k. Applicants must have arrangements in place to deposit sufficient funds in a
reputable bank to cover the total cost of an initial three-years of culling. This
deposit must be made before culling begins into an account held by the
applicants. Applicants will need to provide evidence to support the cost estimates
and confirmation from the bank that the deposit has been made.
l. The funds must be managed in line with the requirements set out in the Badger
Control Deed of Agreement, including the requirement to ensure that at all times
the amount remaining in the account is sufficient to ensure that culling is carried
out in accordance with the licence and the Badger Control Deed of Agreement.
m. The duration of a Badger Disease Control licence will be 4 years. The licence
may, however, be revoked after 2 years, if appropriate, following a progress
evaluation by the Chief Veterinary Officer or on reasonable grounds.
n. Licences will not be issued after 1st December 2022.
o. The area to which the application relates must not have previously been included
in a Badger Disease Control licence.
9. Further, applicants must satisfy Natural England that they are able to deliver an
effective cull in line with this policy and have arrangements in place to achieve this. To
deliver an effective cull, the following requirements must be met.
a. Culling must be co-ordinated on accessible land across the entire control area.
b. Culling must be sustained, which means it must be carried out annually (but not
in closed seasons) for the duration of the licence (minimum of 4 years). The
culling of badgers must commence during the culling season, on or after the date
specified by Natural England in its letter of authorisation and will continue until
Natural England requires it to cease in all or part of a control area. The duration
of the cull needs to achieve a balance between sufficient intensity to achieve
effective disease control and what is realistically deliverable by a cull company.
c. Culling will not be permitted during the following closed seasons:
i. 1 December to 31 May for cage-trapping and shooting badgers;
ii. 1 February to 31 May for controlled shooting; and
iii. 1 December to 30 April for cage-trapping and vaccination.
d. Culling must remove a minimum number of badgers in each year as specified
below:
iv. in the first year of culling, a minimum number of badgers must be
removed which must be carried out throughout the land to which there is
access, until the licensee is notif ied by Natural England that culling should
be discontinued for the remainder of the culling season. This minimum
6
number should be set at a level that in Natural England’s judgement
should reduce the estimated badger population of the application
area by at least 70%;
v. a minimum number of badgers must also be removed in subsequent
years of culling carried out throughout the land to which there is access,
until the licensee is notif ied by Natural England that culling should be
discontinued for the remainder of the culling season. This minimum
number should be set at a level that in Natural England’s judgement
should maintain the badger population at the reduced level required to be
achieved through culling in the first year.
10. Further, vaccination sites located wholly or partially in the Edge Area that meet
minimum criteria will benefit from no-cull zones around that part of the vaccination site
located in the Edge area, proportionate to the size of the vaccination site located in the
Edge Area.33 This may have an impact on cull areas (both in the HRA and in the Edge
area) near those vaccination sites. See pages 12 and 13 for Vaccination Policy
Requirements.
11. Further, applicants must satisfy Natural England that they are able to deliver the cull as
safely and humanely as possible. The following requirements must be met in that
respect.
a. In order to ensure humaneness, only two culling methods will be permitted
(which can be used in combination, or alone):
i. cage-trapping followed by shooting; and
ii. controlled shooting of free-ranging badgers (‘controlled shooting’).
b. Those licensed to cull badgers must be able to demonstrate a level of
competence appropriate to the method they will be licensed to use. Successful
completion of a training course approved by government will be taken as proof of
competence.
c. Culling must be in line with the relevant Best Practice Guide.
12. Natural England should aim to ensure that culling will “not be detrimental to the survival
of the population concerned” within the meaning of Article 9 of the Convention on the
Conservation of European Wildlife and Natural Habitats, and for this purpose in
considering applications for a licence should have regard to the guidance of the
Standing Committee on the interpretation of Article 9 of that Convention. For that
purpose Natural England should:
a. determine appropriate area-specific licence conditions; and
33 Where a vaccination site is located partially in the Edge Area and partially in the HRA, a no -cull zone will only
be applied to the Edge Area part of the vaccination site and will be of equal area to that Edge area part. The no -cull zones in these cases extend into the HRA in order that a no-cull zone is provided around the whole of the
vaccination site which is located in the Edge Area.
7
b. set a maximum number of badgers to be removed from the licence area.
Defra considers that this approach is sufficient to be confident that culling will not be
detrimental to the survival of the relevant population of badgers.
13. Further, Natural England should take into account conservation considerations for
designated sites, for example Sites of Special Scientif ic Interest (SSSIs), Special Areas
of Conservation (SACs), and Special Protection Areas (SPAs). Under the Conservation
of Habitats and Species Regulations 2017, (SI 2017/1012), an “appropriate
assessment” must be carried out before granting a licence which might have a
significant effect on a European protected site (principally SACs & SPAs).34
Supplementary badger disease control
requirements
14. Applications for Supplementary Badger Disease Control licences must meet the
following criteria.
a. The application must relate to the whole of an area in relation to which, in the
view of Natural England, an effective cull has been carried out under a Badger
Disease Control Licence for a period of at least four years.
b. Supplementary Badger Disease Control will commence in the year after the end
of a successful completed cull, to provide continuity of badger population control.
c. All participating farmers are complying, and for the duration of any licence
continue to comply, with statutory TB controls.
d. Reasonable biosecurity measures are being, and for the duration of any licence
will continue to be, implemented by participating farmers on their land. For this
purpose ‘reasonable measures’ means measures that in the particular
circumstances are practicable, proportionate and appropriate, having regard to
the Bovine TB Biosecurity Five-Point Plan.35
e. The area to which the application relates must lie wholly within the High Risk
Area of England or Edge Areas at the time of application.
f. All land holders must permit Natural England access to their land for compliance
monitoring.
34 Where the assessment concludes that the grant of a licence might result in an adverse effect on the integrity of
a European protected site, the licence must not be granted unless there are no alternative solutions and the
rationale for the policy can be relied upon as an imperative reason of overriding public interest (pursuant to
regulation 64 of those Regulations). Where the European protected site hosts habitat which for the purposes of
the Habitats Directive is a priority habitat or a species which is a priority species, any such overriding public interest cannot be relied upon except pursuant to advice from the Euro pean Commission that it may be. 35 See footnote 22.
8
g. The duration of a Supplementary Badger Disease Control licence will be limited
to 2 years. (The licence may, however, be revoked if appropriate following a
progress evaluation or on reasonable grounds.)
h. The area to which the application relates must not have previously been included
in a Supplementary Badger Disease Control licence.
i. The area to which the application relates must not have previously been included
in a Badger Disease Control Licence first issued after 1st December 2020.
15. Applicants must satisfy Natural England that they are able to deliver an effective cull in
line with this policy and have arrangements in place to achieve this. Natural England
should assess whether applicants meet this requirement having regard to the following
criteria -.
a. The application must be submitted by an experienced company or group
considered capable of co-ordinating and overseeing effective control activity in
the area.
b. To be effective, culling should maintain the population at the level achieved
after the prior cull, by removing each year the minimum number of badgers set by
Natural England and not exceeding the maximum number set.
c. Culling must be co-ordinated on accessible land across the control area and the
resources deployed in culling must be such as are assessed by Natural England
to be sufficient to ensure the supplementary control operation will be effective.
d. Culling must be sustained, which means it must be carried out annually within
the open season for the duration of the licence (unless wholly discontinued
before the expiry of the licence), and for a limited duration of such period as
Natural England permits in the year in question.
e. Culling will not be permitted during the following closed seasons:
i. 1 December to 31 May for cage-trapping and shooting badgers;
ii. 1 February to 31 May for controlled shooting; and
iii. 1 December to 30 April for cage-trapping and vaccination.
16. Further, vaccination sites located wholly or partially in the Edge Area that meet
minimum criteria will benefit from no-cull zones around that part of the vaccination site
located in the Edge area, proportionate to the size of the vaccination site located in the
Edge Area.36 This may have an impact on cull areas (both in the HRA and in the Edge
36 Where a vaccination site is located partially in the Edge Area and partially in the HRA, a no -cull zone will only
be applied to the Edge Area part of the vaccination site and will be of equal area to that Edge area part. The no-cull zones in these cases extend into the HRA in order that a no -cull zone is provided around the whole of the
vaccination site which is located in the Edge Area.
9
area) near those vaccination sites. See pages 12 and 13 for Vaccination Policy
Requirements.
17. Applicants must satisfy Natural England that they are able to deliver the cull as safely
and humanely as possible. The following requirements must be met in that respect.
a. In order to ensure humaneness, only two culling methods will be permitted
(which can be used in combination, or alone):
i. cage-trapping followed by shooting; and
ii. controlled shooting of free-ranging badgers (‘controlled shooting’).
b. Persons to be authorised to carry out culling pursuant to the licence must be able
to demonstrate a level of competence appropriate to the method they are
licensed to use. Successful completion of a training course approved by
government will be taken as proof of competence.
c. Culling must be carried out in accordance with the relevant Best Practice Guide.
18. Natural England should aim to ensure that Supplementary Badger Disease Control will
“not be detrimental to the survival of the population concerned” within the meaning of
Article 9 of the Convention on the Conservation of European Wildlife and Natural
Habitats, and for this purpose in considering applications for a Supplementary Badger
Disease Control licence should have regard to the guidance of the Standing Committee
on the interpretation of Article 9 of that Convention. For that purpose Natural England
should:
a. determine appropriate area-specific Supplementary Badger Disease Control
licence conditions; and
b. set a maximum number of badgers to be removed from the licence area.
19. Licensees must complete a sett survey where NE, on the CVO’s advice, deems it
necessary after taking into account all appropriate information.
20. Natural England should take into account conservation considerations for designated
sites, for example Sites of Special Scientif ic Interest (SSSIs), Special Areas of
Conservation (SACs), and Special Protection Areas (SPAs). Under the Conservation of
Habitats and Species Regulations 2017, (SI 2017/1012), an “appropriate assessment”
must be carried out before granting a licence which might have a significant effect on a
European protected site (principally SACs & SPAs).37
Low risk area badger disease control
requirements
37 See footnote 25.
10
21. Applications for Low Risk Area Badger Disease Control licences must meet the
following criteria.
a. The application must relate to a specific area affected by bovine TB in which the
Animal and Plant Health Agency (APHA) has found evidence that infection is
present in both badgers and in cattle herds38. The application should cover a
‘minimum affected area’ and a buffer zone, where applicable, as def ined by an
epidemiological assessment of bovine TB and a survey of badger activity in the
area, carried out by APHA.
b. All participating farmers are complying, and for the duration of any licence
continue to comply, with statutory and (where applicable) temporary
additional TB control measures introduced as part of APHA’s response.
c. The size of any inaccessible land within the application area should be minimised
for the purposes of effective disease control. Natural England will make decisions
on the level of accessible land on a case-by-case basis, taking into account
such specific circumstances as Natural England considers relevant, e.g.
topography, land use and badger sett surveys or any other matter that Natural
England considers relevant. Natural England should have regard to any advice
on the application from the APHA and the CVO (UK).
d. Reasonable biosecurity measures are being, and for the duration of any licence
will continue to be, implemented by participating farmers on their land. For this
purpose ‘reasonable measures’ means measures that in the particular
circumstances are practicable, proportionate and appropriate, having regard to
the Bovine TB Biosecurity Five-Point Plan.39
e. The area to which the application relates must lie wholly or mostly within the Low
Risk Area at the time of application.
f. All land holders must enter into agreements with Natural England under section
7 of the NERC Act (the “Low Risk Area Badger Control Access Agreement”)
requiring them to permit access to their land for culling including by government.
g. All land holders must permit Natural England access to their land for compliance
monitoring.
h. The duration of a Low Risk Area Badger Disease Control licence will be
determined by Natural England’s assessment of all the available evidence,
including monitoring of the badger population, and on a case-by-case basis. The
licence may, however, be revoked if appropriate following a progress evaluation
38 Such areas are commonly known as bTB ‘hotspots’. APHA can sometimes implement additional TB testing of
cattle herds and TB surveillance of found -dead badgers and wild deer following the detection of one or more
cattle herds with lesion- and/or culture-positive TB breakdowns of obscure origin in the LRA of England. This is a long-standing policy and the extent and duration of the enhanced TB surveillance in such areas (‘potential hotspots’) will
differ from case to case, based on expert veterinary judgement and epidemiological assessments. Of the 21 ‘pot ential
hotspot’ zones set up in the LRA of England between 2004 and 2017, only in one of them was M. bovis infection eventually
confirmed in the local badger population surveyed and thus became a confirmed ‘hotspot’. 39 See footnote 22.
11
or on reasonable grounds. This does not preclude an application in due course
for a further licence.
22. Applicants must satisfy Natural England that they are able to deliver an effective cull in
line with this policy and have arrangements in place to achieve this. Natural England
should assess whether applicants meet this requirement having regard to the following
criteria -.
a. culling should lower the badger population of the affected area sufficiently to
reduce the risk of infection of cattle from badgers (whether through direct or
indirect contact), and ideally substantially reduce or even eliminate it.
b. Culling must be co-ordinated on accessible land across the control area and the
resources deployed in culling must be such as are assessed by Natural England
to be sufficient to ensure the control operation will be effective.
c. Culling must be sustained, which means it must be carried out annually within
the open season for the duration of the licence (unless wholly discontinued
before the expiry of the licence). The culling of badgers must commence during
the culling season, on or after the date specified by Natural England in its letter of
authorisation, and continue until Natural England requires it to cease in all or part
of a control area.
d. Culling will not be permitted during the following closed seasons:
i. 1 December to 31 May for cage-trapping and shooting badgers;
ii. 1 February to 31 May for controlled shooting; and
iii. 1 December to 30 April for cage-trapping and vaccination.
23. Applicants must satisfy Natural England that they are able to deliver the cull as safely
and humanely as possible. The following requirements must be met in that respect.
a. In order to ensure humaneness, only two culling methods will be permitted
(which can be used in combination, or alone):
b. cage-trapping followed by shooting; and
c. controlled shooting of free-ranging badgers (‘controlled shooting’).
d. Persons to be authorised to carry out culling pursuant to the licence must be able
to demonstrate a level of competence appropriate to the method they are
licensed to use. Successful completion of a training course approved by
government will be taken as proof of competence.
e. Culling must be carried out in accordance with the relevant Best Practice Guide.
24. Natural England should aim to ensure that Low Risk Area Badger Disease Control will
“not be detrimental to the survival of the population concerned” within the meaning of
12
Article 9 of the Convention on the Conservation of European Wildlife and Natural
Habitats, and for this purpose in considering applications for a Low Risk Area Badger
Disease Control licence should have regard to the guidance of the Standing Committee
on the interpretation of Article 9 of that Convention. For that purpose Natural England
should:
a. assess the risk of local extinction from a badger control operation; and
b. where necessary, determine appropriate area-specific Low Risk Area Badger
Disease Control licence conditions.
25. Natural England should take into account conservation considerations for designated
sites, for example Sites of Special Scientif ic Interest (SSSIs), Special Areas of
Conservation (SACs), and Special Protection Areas (SPAs). Under the Conservation of
Habitats and Species Regulations 2017, (SI 2017/1012), an “appropriate assessment”
must be carried out before granting a licence which might have a significant effect on a
European protected site (principally SACs & SPAs).40
Vaccination policy requirements 26. It is possible to apply to Natural England for a licence to trap badgers for the purpose of
TB vaccination. The vaccine may only be used under veterinary prescription.
Vaccination must be carried out either by someone who is sufficiently competent (either
by a trained and accredited lay vaccinator, or by a practising vet with access to
personnel with adequate trapping experience).
27. Vaccination may be used independently of culling as part of a package of measures to
prevent or control TB, or it may be used in combination with culling, for example
vaccination may help reduce the risks to vulnerable livestock of increased TB
incidence, both within and surrounding a control area, as a result of perturbation of the
local badger population.
28. Where the use of vaccination in combination with any type of culling licence is
proposed in the HRA or Edge Area, the following best practice is recommended:
a. where vaccination is to be used, it should be used at active badger setts found
on, or adjacent to, land where vulnerable livestock are present and which fall
within 2km of the edge of a control area;
b. vaccination should take place at least 4 weeks prior to culling to allow immunity to
develop in uninfected vaccinated animals;
c. to mitigate any ongoing perturbation effect and begin to build up “herd immunity”,
vaccination should be carried out annually, continuing for at least the same length
of time as any culling on adjacent land; and
40 See footnote 25.
13
d. where culling and vaccination are taking place on adjacent land in the HRA,
applicants should take reasonable steps to negotiate an agreed approach to
badger control operations along the relevant boundary with the
landowner/occupier of the land where vaccination is occurring.
29. Where vaccination is taking place on land within Edge Area counties, vaccination
licence applicants must determine whether landowners/occupiers of licensed
vaccination sites wish to have no-cull zones surrounding those sites and, if they do, to
disclosure of no-cull zones around those vaccination site(s) that meet the criteria in
paragraph 30 to cull companies applying for adjoining badger control licences.
30. Where vaccination is taking place on land within Edge Area counties and a Badger
Disease Control or Supplementary Badger Disease Control licence is applied for in
respect of land adjacent to such a vaccination site, any licence subsequently issued will
require a no-cull zone to be put in place when the following criteria are met:
a. The vaccination site was licensed at the closure of the previous open season for
cage trapping, i.e. 30th November;
b. The landowner/occupier and vaccination licence holder have requested a no-cull
zone be put in place around the vaccination site and given consent for the
location of the no-cull zone to be provided to cull companies
c. The number of badgers vaccinated on the site in the previous year is comparable
to the minimum number that would need to be removed during a culling
operation. Where the vaccination site is smaller than 2.25km2, the minimum
number of badgers which need to have been vaccinated should be equivalent to
the number of badgers required to be vaccinated on a site which is 2.25 km2.
31. No-cull zones, where implemented, will have a maximum width of 2km and a minimum
width of 200m, and be of approximate equivalent size to the vaccination site. The
boundaries of no-cull zones should be set where, in Natural England’s judgement,
suitable recognisable physical features or hard boundaries occur.
32. When, in Natural England’s judgement, a validated method to mark vaccinated badgers
for a full season has been developed cage trapping followed by shooting of unmarked
badgers should be permitted in a no-cull zone.
33. No-cull zones will be re-evaluated each year of the Badger Disease Control or
Supplementary Disease Control Licence. Where sufficient badgers are not vaccinated
in the relevant vaccination site (using the text in criterion (c) in paragraph 30 above) in
the preceding year, the no-cull zone will be removed.
Implementation 34. Before granting a culling licence, Natural England should be satisfied that the application
meets the licence criteria and the policy requirements. Natural England, on behalf of the
Secretary of State, will determine applications for culling and vaccination licences on a
case-by-case basis.
14
35. To enable Natural England to assess licence applications, it will require applicants to
demonstrate how they will meet the culling policy requirements, including details of
contingency plans in case the chosen culling strategy proves ineffective.
36. Natural England should keep the duration of a cull in each year under review. The review
will allow Natural England to consider whether or not to take action to terminate
operations on a case-by-case basis. Natural England may take into account factors such
as the CVO’s advice on disease control; the latest evidence and advice on the remaining
badger population; and whether any immediate action is appropriate.
37. In considering whether operations should be terminated, Natural England should take
into account the extent to which the licensee’s annual operational planning is being
complied with and the licensing criteria continue to be met ( for example, in the case of a
Badger Disease Control licence, whether the extent of access has been reduced since
the licence was granted) and, if so, whether this is likely to adversely affect the
effectiveness of operations in reducing badger numbers.
38. A maximum of ten new Badger Disease Control areas may be licensed each year
unless there are compelling reasons to increase or decrease that number. Applications
will be prioritised according to the extent to which they best meet the primary aim of the
policy (i.e. to eradicate TB).
39. Each Badger Disease Control licence will be granted for a period of not less than four
consecutive years or such other period as Natural England may determine is appropriate
to ensure that the proposed cull achieves the policy aim.
40. Each Supplementary Badger Disease Control licence will be granted for a period of not
more than two consecutive years following on directly from the conclusion of a
successfully completed Badger Disease Control operation.
41. Each Low Risk Area Badger Disease Control licence will be granted for a period which
Natural England determines is appropriate to ensure that the proposed cull achieves the
policy aim.
42. Natural England should give the public an opportunity to comment on any licence
applications that are made.
43. Natural England will seek advice from local police forces on whether additional licence
conditions are required to protect public and operator safety.
15
Monitoring
44. As part of its licensing operation, Natural England should monitor compliance with
licence conditions and agreements in place for culling and vaccination. The use of site
visits will be in accordance with a risk-based approach that complies with Better
Regulation principles and the Regulators’ Code for Compliance. Natural England
should maintain sufficient oversight of the progress of each cull area to ensure that
removal of badgers and/or the level of effort deployed is consistent with that set out in
operational planning, allowing cull companies or groups to flexibly manage their
resources and approach to deal with changing circumstances. Natural England should
be ready to advise the CVO on progress at regular intervals, reporting on effort across
each cull area, progress with badger removal and compliance issues.
Reporting and disclosure of information
45. Natural England should disclose as much information as practically possible. Each
year, or more frequently if appropriate, Natural England should, as a minimum, publish
on its website the numbers of applications received and licences granted, and for each
licence issued:
a. the county or counties included within the licensed area;
b. the size of the licensed area;
c. the number of badgers reported culled by each method; and
d. the number of non-target species caught and culled.
Enforcement 46. Natural England should apply its published Enforcement Policy Statement to breaches
of licences that it has issued. Wildlife offences that are not breaches of licences may be
reported to the police for investigation.
47. In relation to operations carried out under a Badger Disease Control licence,
government intervention will be considered where, in particular, in the judgement of the
Secretary of State, any of the following circumstances apply:
a. where culling has not taken place at all during any year after the culling
commenced in year one (applicants should detail in the operational planning the
dates during which culling will be carried out);
b. where in any of the years in which the Badger Disease Control licence is
operational the minimum number of badgers to be culled during the cull period
(specified by Natural England for the year in question) is not attained;
16
c. where the area of accessible land in relation to which the Badger Disease Control
licence is granted has dropped below the acceptable level (approximately 90% of
the control area either accessible or within 200m of accessible land);
d. where there has been any other breach of the Badger Disease Control licence
which the licence holder has been asked to remedy and has failed to remedy
within a reasonable period; or
e. where there is an Event of Default as defined in the Badger Control Deed of
Agreement.
Welsh and Scottish border
48. Natural England and the Devolved Administrations should consider on a case-by-case
basis any licence applications in respect of areas which cross the Welsh or Scottish
border. If an application relates to an area which is solely within England but within 2km
of the border, Natural England should determine the licence application in the normal
way but will consult the Welsh or Scottish Government.
17
Glossary Access/accessible land: land within a control area that is participating in the application
and accessible for culling to take place.
Applicants: those persons named as the applicant(s) on the licence application.
Application Area: land included in an application, including both access land and non-
participating land.
Badger Disease Control: a form of badger control which is undertaken on a naïve
population.
Biosecurity measures: measures to reduce the risk of transmission of infectious disease.
Controlled shooting: the shooting of free-ranging badgers in the field (as distinct from
shooting those that have first been trapped in cages).
Control Area: land included in the licence, once granted, including both land that is
participating and land that is not participating in culling.
CVO: Chief Veterinary Officer (UK). Advises on the programmes necessary to control, and,
where appropriate, eradicate disease.
Effective Cull: a cull that meets the requirements set out in paragraph 8.
Habitats Directive: Council Directive 92/43/EEC of 21 May 1992 on the conservation of
natural habitats and of wild fauna (OJ L 206, 22.7.1992. p.7).
Herd immunity: an epidemiological term that refers here to the protection of sufficient
susceptible individuals through vaccination in a population as a means of protecting
remaining susceptible, unvaccinated animals in that population from infection.
High Risk Area, Edge Area, Low Risk Area: three geographical TB management zones
defined in the Strategy for achieving Officially Bovine Tuberculosis Free status for England.
Low Risk Area Badger Disease Control licence: a form of badger control in a zone of the
Low Risk Area (LRA) of England specified by the Animal and Plant Health Agency, where
there is evidence that infection with Mycobacterium bovis is present in badgers and linked
with infection in cattle herds.
Mycobacterium bovis (M. bovis): the bacterium that causes tuberculosis (TB) in cattle
(bovine TB) and can also infect and cause TB in other species of mammals.
Non-participating land: land within a control area that is not participating and where access
has not been permitted for culling to take place.
Participating farmers: all freehold owners and tenants of accessible land who are in
occupation of that land and have signed the TB Management Agreement.
Supplementary Badger Disease Control: a form of continuing badger control which follows
an effectively completed Badger Disease Control operation.